ACTIVITY IN CASE 2:12-CV-02997-MCE-DAD GRINOLS ET AL V.

ELECTORAL COLLEGE ET AL MINUTE ORDER
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The following transaction was entered on 12/20/2012 at 12:40:04 PM PST and filed on 12/20/2012 Case Name: Case Number: Filer: Document Number: Docket Text: 13 (No document attached) Grinols et al v. Electoral College et al 2:12-cv-02997-MCE-DAD

AMENDED MINUTE ORDER (Text Only) issued by courtroom deputy for Chief District Judge, Morrison C. England, Jr.: On the Court’s own motion, Plaintiffs’ Motion for Temporary Restraining Order [12] is set for hearing on January 3, 2013 at 2:00 p.m. in Courtroom 7. Oppositions are to be filed not later than December 26, 2012 and a reply, if any, by December 28, 2012. Plaintiffs’ counsel is ordered to give notice of this minute order to Defendants by 4:00 p.m., December 20, 2012. (Deutsch, S) Modified on 12/20/2012 (Deutsch, S).
2:12-cv-02997-MCE-DAD Notice has been electronically mailed to: Orly Taitz orly.taitz@gmail.com, dr_taitz@yahoo.com 2:12-cv-02997-MCE-DAD Electronically filed documents must be served conventionally by the filer to: The following document(s) are associated with this transaction: This is a re-generated NEF. Created on 12/20/2012 at 12:41 PM PST

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UNITED STATES DISTRICT COURT
EASTERN DISTRTCT OF CALIFORNIA

JAMES GRINOLS, ET AL. ,

V.
ELECTORAL COLLEGE, ET AL.,
CASE

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of time after service.

VICTORIA C. MINOR
CLERK

/s/ A. Meuleman

(By) DEPUTY CLERK

ISSUED ON 2012-12-13 08:34:31.0, Clerk USDC EDCA

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CLERK

/s/ A. Meuleman

(By) DEPUTY CLERK

ISSUED ON 2012-12-13 08:34:31.0, Clerk USDC EDCA

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UNITED STATES DTSTRICT COUFTT
EASTERN DISTRICT OF CALIFORNIA

JAMES GRINOLS, ET AL.

,

V.
ELECTORAL COLLEGE, ET AL.
,

SUMMONS IN A
CASE

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service of this surnmons on you, exclusive of the day of service. If you fail to do so, judgment by default will be taken against you for the relief demanded in the complaint. Alry answer that you serve on the parties to this action must be filed with the Clerk of this Court within a reasonable period of time after service.

VICTORIA C. MINOR
CLERK

isl A. Meuleman

(By) DEPUTY CLERK

ISSUED ON 2012-12-13 08:34:31.0, Clerk USDC EDCA

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Dr. Orly Taitz ESQ 29839 Santa Margarita ste 100 Rancho Santa Margarita, CA 92688 Phone 949-683-5411 fax 949-766-7603 Orly.taitz@gmail.com Counselor for the Plaintiffs

US District Court For the Eastern District of California James Grinols, Robert Odden, in their capacity )Case # 12-cv-02997 as Presidential Electors )MOTION FOR TEMPORARY

Edward C. Noonan, Thomas Gregory MacLeran, ) RESTRAINING ORDER Keith Judd in their capacity as candidates for the U.S. President v Electoral College, President of the Senate, Governor of California, Secretary of State of California, U.S. Congress ) ) ) ) ) ) ) ) INTRODUCTION

Plaintiffs bring this action as Presidential Electors and as candidates for U.S. President, who, having been deprived of lawful process in the statewide election for the national office of U.S. President held in California on November 6, 2012, as a direct and proximate result of the mispersonation and elections fraud perpetrated by defendant Obama, seek redress from this court to enjoin: 1. Secretary of State and Governor from certifying the Certificate of Ascertainment due to lack of legitimacy for office and fraud committed by the citizen of Indonesia Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S. Presidency and position of the Commander in-Chief, while using a forged short form birth certificate, forged long form birth certificate, forged Selective Service certificate and a stolen Connecticut Social Security number xxx-xx-4425 as a proof of his legitimacy and fitness for office

2. The Electoral College from tallying their votes due to lack of legitimacy for office and fraud committed by the citizen of Indonesia Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S. Presidency and position of the commander in-Chief, while using a forged short form birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxx-xx-4425 as a proof of his legitimacy and fitness for office

3. governor of CA from forwarding the Certificate of Electoral Vote to the US Congress due to lack of legitimacy for office and fraud committed by the citizen of Indonesia Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S. Presidency and position of the commander in-Chief, while using a forged short form birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxx-xx-4425 as a proof of his legitimacy and fitness for office

4. President of the Senate from presenting the Certificates of the Electoral Vote to the U.S. Congress due to lack of legitimacy for office and fraud committed by the citizen of Indonesia Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S. Presidency and position of the commander in-Chief, while using a forged short form birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxx-xx-4425 as a proof of his legitimacy and fitness for office

5. U.S. Congress from confirming the elections results due to lack of legitimacy for office and fraud committed by the citizen of Indonesia Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S. Presidency and position of the commander in-Chief, while using a forged short form birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxx-xx-4425 as a proof of his legitimacy and fitness for office 6. Defendant Barack Hussein Obama from taking the oath of office as a U.S. President on the inauguration day due to his lack of legitimacy for office and fraud committed by him, as the citizen of Indonesia Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S. Presidency and position of the Commander in-Chief, while using a forged short form birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxx-xx-4425 as a proof of his legitimacy and fitness for office. Plaintiffs, who are Presidential electors and Presidential candidates have standing to raise these claims as directly interested parties. These claims are justiciable, and as this court has one last opportunity to act, the claims are not moot. Jacobs v. Clark County Sch. Dist., 526 F.3d 419, 425 (9th Cir. 2008). Plaintiffs incorporate

herein the complaint and petition for injunctive relief filed herein on 12.12.2012 and exhibits pp1-107 to aforementioned complaint and petition for injunctive relief STATEMENT OF FACTS Plaintiffs incorporate herein the complaint and petition for injunctive relief filed herein on 12.12.2012 and exhibits pp1-107 to aforementioned complaint and petition for injunctive relief. Defendant Obama is not qualified for the office of U.S. President, as he is a citizen of Indonesia operating under an alias. Defendant Obama is using a forged birth certificate to validate his claim of an American birth. In proffering false documents in order to obtain a federal position, Defendant Obama (in this case, the Presidency) has violated 18 USC § 911 (falsely representing that he is a US citizen); and 18 USC § 1001 (June 25, 1948, ch. 645, 62 Stat. 749; Pub. L. 103–322, title XXXIII, § 330016(1)(L), Sept. 13, 1994, 108 Stat. 2147; Pub. L. 104–292, § 2, Oct. 11, 1996, 110 Stat. 3459; Pub. L. 108–458, title VI, § 6703(a), Dec. 17, 2004, 118 Stat. 3766; Pub. L. 109–248, title I, § 141(c), July 27, 2006, 120 Stat. 603.) in falsifying his identity as a member of the executive branch of the federal government.

Defendant Obama is using a forged Selective Service Certificate to demonstrate his claim of a lawful registration for the draft, when no such registration occurred. In proffering a falsified draft registration, Defendant Obama has violated 18 USC § 1001, and is further disqualified from holding any position within the Executive branch of the United States government pursuant to 5 USC § 3328. /// Defendant Obama is using a fraudulent Social Security number which was never assigned to him as a proof of his identity. In proffering a false social security number, Defendant Obama, is in criminal violation of 42 USC § 408, which provides as follows: (a) In general Whoever - (6) willfully, knowingly, and with intent to deceive the Commissioner of Social Security as to his true identity (or the true identity of any other person) furnishes or causes to be furnished false information to the Commissioner of Social Security with respect to any information required by the Commissioner of Social Security in connection with the establishment and maintenance of the records provided for in section

405(c)(2) of this title; shall be guilty of a felony and upon conviction thereof shall be fined under title 18 or imprisoned for not more than five years, or both. Defendant Obama is not a natural born citizen and is ineligible to hold the office of the Presidency, pursuant to Article II, Section 1, clause 5, which states that “No Person except a natural born Citizen, or a Citizen of the United States, at the time of the Adoption of this Constitution, shall be eligible to the Office of President.” The crimes are egregious violations which vitiated the ability of the plaintiffs in this case to lawful process in the furtherance of the November 6, 2012 election. In addition, the November 6, 2012 election in California was marked with substantial voter fraud. Over one and a half million invalid voter registrations in California have been discovered, in violation of elections statute 2150. 756,213 records were without a birth place, 685,739 records where instead of a required name of the state of birth, U.S. or U.S.A was entered, there were as many as 141,851 possible duplicate records, 130,019 records with birth date over 100, 757 records without a birth date, and 898 records without a first name. (Exhibit 11,

12). Employees of the Registrar's office from Orange County and Los Angeles County have admitted in e-malls to falsification of voter data by entering date 1900, when they found no date, and entering USA or US when the name of the state of birth is missing. (Exhibit 19). The number of registered voters in California went up by over a million since the last Presidential election in 2008 and most of the increase came from on line registration. EVIDENCE UPON WHICH PLAINTIFFS RELY Plaintiffs rely on the following evidence, all of which has been provided to this court: 1. Certificate of Nomination for Edward C. Noonan as candidate for the office of President; (Ex. 1). 2. Affidavit of Michael Zullo; (Ex. 2). 3. Affidavit of Douglas B. Vogt; (Ex. 3). 4. Affidavit of Timothy Lee Adams; (Ex. 4). 5. Affidavit of Felicito Papa; (Ex. 5). 6. Affidavit of Felicito Papa; (Ex. 6). 7. Affidavit of Linda Jordan; (Ex. 7). 8. Affidavit of Dr. Ronald J. Polland; (Ex. 8).

9. Affidavit of John N. Sampson; (Ex. 9). 10. Social Security Number Verification System report; (Ex. 10). 11.Affidavit of David Yun; (Ex. 11). 12.Affidavit of David Yun; (Ex. 12). 13.Registration of Barry Soetoro in Indonesia; (Ex. 13). 14.Declaration of Christopher-Earl Strunk; (Ex. 14). 15.Affidavit of Susan Daniels; (Ex. 15). 16.Official Report of the National Assembly of Kenya, Mar. 25, 2010; (Ex. 16). 17.Report: The Vetting – Exclusive – Obama’s Literary Agent in 1991 Booklet: ‘Born in Kenya and Raised in Indonesia and Hawaii.’ (Ex. 17). 18.Affidavit of Maricopa County Sheriff, Joseph M. Arpaio; (Ex. 18). 19.Emails: Public Records LA County; (Ex. 19). 20.Certificate of Live Birth (Hawaiian exemplar); (Ex. 20). 21.Certificate of Live Birth of Defendant Obama (White House file); (Ex. 21). POINTS AND AUTHORITIES The United States Supreme Court revisited the requirements for obtaining a preliminary injunction in Winter v. NRDC, Inc., 555 U.S. 7 (2008). "A plaintiff seeking a preliminary injunction must establish that he is likely to succeed on the

merits; that he is likely to suffer irreparable harm in the absence of preliminary relief; that the balance of equities tips in his favor; and that an injunction is in the public interest." There is a substantial likelihood of success on the merits of the case. A candidate for office is presumed to hold the qualifications to seek and hold that office, unless and until a party proves to a court of competent jurisdiction that the candidate is not qualified. Dumas v. Gagner, 137 Wn.2d 268, 285, 971 P.2d 17 (1999). The burden of demonstrating that Obama is not eligible to hold the office of the Presidency is on plaintiffs. Baldwin v. Sisters of Providence, 112 Wn.2d 127, 135, 769 P.2d 298 (1989); see also Ankeny v. Governor of Indiana, 916 N.E.2d 678, 681 (Ind. Ct. App. 2009). Plaintiffs rely exclusively on the fact record contained herein; namely the Birth Certificate of Barack Hussein Obama (Ex. 21) as posted on the White House website, and expressly adopted by Obama. Here is the official statement from the White House website: In 2008, in response to media inquiries, the President’s campaign requested his birth certificate from the state of Hawaii. The state sent the campaign the President’s birth certificate, the same legal documentation provided to all Hawaiians as proof of birth in state, and the campaign immediately posted it on the internet.

When any citizen born in Hawaii requests their birth certificate, they receive exactly what the President received. In fact, the document posted on the campaign website is what Hawaiians use to get a driver’s license from the state and the document recognized by the Federal Government and the courts for all legal purposes. That’s because it is the birth certificate. This is not and should not be an open question. The President believed the distraction over his birth certificate wasn’t good for the country. It may have been good politics and good TV, but it was bad for the American people and distracting from the many challenges we face as a country. Therefore, the President directed his counsel to review the legal authority for seeking access to the long form certificate and to request on that basis that the Hawaii State Department of Health make an exception to release a copy of his long form birth certificate. They granted that exception in part because of the tremendous volume of requests they had been getting. Here is the comment of Barack Hussein Obama concerning the release of this Birth Certificate: We've posted the certification that is given by the state of Hawaii on the Internet for everybody to see. Transcript of President’s remarks following the release of the long form Birth Certificate, The White House, Office of the Press Secretary, April 27, 2011 at 9:48 a.m. PDT. http://www.whitehouse.gov/the-press-office/2011/04/27/remarkspresident. Federal Rules of Evidence, 804(3) provides for the admissibility of this evidence, and plaintiff submits that judicial notice should be taken thereof:

(3) Statement Against Interest. A statement that: (A) a reasonable person in the declarant’s position would have made only if the person believed it to be true because, when made, it was so contrary to the declarant’s proprietary or pecuniary interest or had so great a tendency to invalidate the declarant’s claim against someone else or to expose the declarant to civil or criminal liability; and (B) is supported by corroborating circumstances that clearly indicate its trustworthiness, if it is offered in a criminal case as one that tends to expose the declarant to criminal liability. Because Plaintiffs have granted standing to bring this charge, and because the issue is justiciable in the United States District Court for the Eastern District of California, (see Marbury v Madison, op. cit.), this court must therefore consider the law regarding the precondition of facts as admitted by Barack Hussein Obama and consider whether he is actually able to hold the office of the Presidency. a. Standing Article III standing means an injury in fact that is fairly traceable to the challenged conduct and has some likelihood of redressability. Fleck and Assocs., Inc. v. City of Phoenix, 471 F.3d 1100, 1103-04 (9th Cir. 2006). Lujan v. Defenders of Wildlife, 504 U.S. 555, 556-61, 112 S.Ct. 2130, 119 L.Ed.2d 351 (1992). The Supreme Court has also recognized third-party standing in cases involving jury composition. See, e.g., Campbell v. Louisiana, 523 U.S. 392, 397-400 (1998) (allowing a litigant to raise a claim on behalf of third parties where (1) the litigant

has suffered an “injury in fact”; (2) he has a “close relationship” to the third parties; and (3) there is some hindrance to the third parties asserting their own rights); Powers v. Ohio, 499 U.S. 400, 410-15 (1991). Plaintiffs have standing to raise this claim. Plaintiffs James Grinols and Robert Odden are Presidential Electors who have been deprived of their ability to cast a lawful vote for the Presidency, and Edward C. Noonan, Thomas Gregory MacLeran, and Keith Judd have been deprived of a lawful election for the office of the Presidency. Their claims are distinct, and the remedy sought herein will redress these claims by preventing the codification of an unlawful election. b. Justiciability The integrity of the election system in the state of California is not nonjusticiable or purely a political issue. The Governor of California and its Secretary of State have a mandatory duty to discharge the office by supporting both the United States Constitution and the Constitution of the State of California. “It is emphatically the duty of the Judicial Department to say what the law is. Those who apply the rule to particular cases must, of necessity, expound and interpret the rule. If two laws conflict with each other, the Court must decide on the operation of each.

If courts are to regard the Constitution, and the Constitution is superior to any ordinary act of the legislature, the Constitution, and not such ordinary act, must govern the case to which they both apply.” Marbury v. Madison, 5 U.S. 1 Cranch 137, 137 (1803). Furthermore, it is the duty of the Governor and the Secretary of State of California, and all members of the Legislature, all public officers (including Electors) and employees, all executive, legislative, and judicial officers, to apply constitutional regimen in the governance of a statewide election, pursuant to their oath of office set forth here: "I, ___________________________, do solemnly swear (or affirm) that I will support and defend the Constitution of the United States and the Constitution of the State of California against all enemies, foreign and domestic; that I will bear true faith and allegiance to the Constitution of the United States and the Constitution of the State of California; that I take this obligation freely, without any mental reservation or purpose of evasion; and that I will well and faithfully discharge the duties upon which I am about to enter. "And I do further swear (or affirm) that I do not advocate, nor am I a member of any party or organization, political or other- wise, that now

advocates the overthrow of the Government of the United States or of the State of California by force or violence or other unlawful means; that within the five years immediately preceding the taking of this oath (or affirmation) I have not been a member of any party or organization, political or otherwise, that advocated the overthrow of the Government of the United States or of the State of California by force or violence or other unlawful means except as follows: (If no affiliations, write in the words "No Exceptions") and that during such time as I hold the office of _____________________________________________ I will not advocate nor become (name of office) a member of any party or organization, political or otherwise, that advocates the overthrow of the Government of the United States or of the State of California by force or violence or other unlawful means." Article 20, Section 3, Constitution of the State of California. Because the Governor of the State of California, the Secretary of State, and the Electoral College have a duty to preserve the integrity of the election system under the United States Constitution; because Obama is in criminal violation of

federal laws concerning his identity, and because he has failed to establish 1) lawful citizenship; 2) a lawful name; 3) a lawful social security number identification; 4) a lawful registration for the selective service system; 5) natural born citizen status are required under Article II, Section 1, clause 5 of the US Constitution: plaintiffs have been deprived in 1) their ability to cast a lawful vote for the Presidency (elector plaintiffs) and 2) their candidacies for President. This can be redressed by this court when the court enjoins the Electoral College from certifying its vote. c. Mootness The basic question in determining mootness is whether there is a present controversy as to which effective relief can be granted. Feldman v. Bomar, 518 F.3d 637, 642 (9th Cir. 2008). In this case, this court is the last bulwark between the life of the constitutional republic of the United States, and its demise. This court can and should fashion relief, and because such an opportunity exists for this court to enjoin the Electoral College from moving forward with the election of a candidate for President who cannot lawfully hold the post, the issue before the court is a present controversy and is not moot.

The cause of action is one which “arises under” the Federal Constitution. This complaint alleges that the certification of an ineligible candidate to the office of the Presidency deprives Plaintiffs of the equal protection of the laws in violation of the Fourteenth Amendment. Dismissal of the complaint upon the ground of lack of jurisdiction of the subject matter would is not justified, because the case can only be dismissed if the claim were “so attenuated and unsubstantial as to be absolutely devoid of merit,” Newburyport Water Co. v. Newburyport, 193 U.S. 561, 579, or “frivolous,” Bell v. Hood, 327 U.S. 678, 683. That the claim is unsubstantial must be “very plain.” Hart v. Keith Vaudeville Exchange, 262 U.S. 271, 274, 369 U.S. 186. Furthermore, this court has a duty to enjoin an unlawful election in any manner it deems appropriate. Pursuant to 28 USC § 453, all members of the federal judiciary are required to take the following oath: “I, XXX XXX, do solemnly swear (or affirm) that I will administer justice without respect to persons, and do equal right to the poor and to the rich, and that I will faithfully and impartially discharge and perform all the duties incumbent upon me as XXX under the Constitution and laws of the United States. So help me God.”

At stake here is the Constitution and the laws of the United States. It is that simple. Defendant Obama is in criminal violation of statutes governing the identity of federal officers (18 USC § 1001), as this record amply demonstrates. There is one last opportunity to arrest the destruction of the constitutional republic, and it rests with this court. Obama’s failure to properly register for the selective service system disqualifies him from every holding a position in the Executive branch of the United States, pursuant to 5 USC § 3328. This court has a duty to uphold the federal law concerning this claim. Plaintiffs face a substantial threat of irreparable damage or injury should an ineligible candidate be certified to the office of President.

It is the very essence of things American that the Presidency be occupied by a person who is not just an American citizen, but who can establish that he is in fact a lawful American and a natural born citizen of the United States. However, the critical harm here is the harm to the rule of law under the Constitution of the United States, the Constitution of the State of California, and the mandatory oath of office required by the statutes of the State of California for the Secretary of State, and the oath of office associated with this court.

All of these oaths will be violated if a candidate who is acting criminally to disguise his identity and who is not constitutionally authorized to hold the office of the Presidency is nonetheless certified by the Electoral College as duly elected. If Article II, Section 1, clause 5 of the United States Constitution has no meaning, than any and every clause of the Constitution is at risk. That is a substantial threat of irreparable damage and injury. Plaintiffs as electors (the Elector Plaintiffs) have a duty imposed on them to act lawfully in the casting of votes for the Presidency, and their lawful vote is vitiated entirely by electors who have voted for an illegal candidate for the office of President. Plaintiffs as candidates for the office of President, have been deprived of equal protection under the law and a free and fair election for the office that has been usurped by Defendant Obama who is acting in criminal violation of federal law and in violation of applicable constitutional provisions to assert a claim for the office of the President. Even the President must be accountable to the laws of the land, particularly the eligibility clause of the U.S. Constitution.

The vision that the founding fathers had of rule of law and equality before the law and no one above the law, that is a very viable vision, but instead of that, we have quasi mob rule. James Bovard. The bedrock of our democracy is the rule of law and that means we have to have an independent judiciary, judges who can make decisions independent of the political winds that are blowing. Caroline Kennedy. When freedom does not have a purpose, when it does not wish to know anything about the rule of law engraved in the hearts of men and women, when it does not listen to the voice of conscience, it turns against humanity and society. Pope John Paul II. Freedom prospers when religion is vibrant and the rule of law under God is acknowledged. Ronald Reagan. We either believe in the dignity of the individual, the rule of law, and the prohibition of cruel and unusual punishment, or we don't. There is no middle ground. Leon Panetta.

The American people have a right to except that the rule of law will guarantee that even if we don't like the policy, that it's done properly. Darrell Issa. I firmly believe in the rule of law as the foundation for all of our basic rights. Sonia Sotomayor. A judge can't have any preferred outcome in any particular case. The judge's only obligation - and it's a solemn obligation - is to the rule of law. Samuel Alito. One thing, however, is certain. Although we may never know with complete certainty the identity of the winner of this year’s presidential election, the identity of the loser is perfectly clear. It is the nation’s confidence in the judge as an impartial guardian of the rule of law. John Paul Stevens. Judges rule on the basis of law, not public opinion, and they should be totally indifferent to pressures of the times. Warren E. Burger.

The natural liberty of man is to be free from any superior power on Earth, and not to be under the will or legislative authority of man, but only to have the law of nature for his rule. Samuel Adams. The clearest way to show what the rule of law means to us in everyday life is to recall what has happened when there is no rule of law. Dwight D. Eisenhower. A resilient people cherishing liberty and equality and the rule of law will endure. Nick Rahall. I am convinced that the majority of American people do understand that we have a moral responsibility to foster the concepts of opportunity, free enterprise, the rule of law, and democracy. They understand that these values are the hope of the world. Richard Lugar We stand in the shadow of Jefferson who believed that a society founded upon the rule of law and liberty was dependent upon public education and the diffusion of knowledge. Matt Blunt. Unfortunately, the true force which propels our endless political disputes, our constant struggles for political advantage, is often not our

burning concern for democracy, it is often of our dedication to the principle of the rule of law. Olusegun Obasanjo. The United States and the European Union do want to have a rule of law, and that rule of law should be for a fair trial. And that fair trial needs to have an impartial jury. Maria Cantwell. The rule of law should be upheld by all political parties. They should neither advise others to break the law, nor encourage others to do so even when they strongly disagree with the legislation put forward by the government of the day. James Callaghan. The balance of harms weighs in favor of Plaintiff. Plaintiffs have a right as electors and candidates for the Presidency to a free and fair election between eligible candidates, and this is a due process right guaranteed under the 14th Amendment to the United States Constitution. The right to vote is regarded as a fundamental political right, because it is preservative of all rights.” Yick Wo v. Hopkins, 118 U.S. 356, 370 (1886). An ineligible candidate to an office has no articulable right in law or equity to that office, even if unanimously elected by the general population.

Plaintiffs, in strict reliance on the admissions against interest of Barack Hussein Obama as disclosed herein, and the record disclosed herein, have demonstrated that as a matter of law, that Defendant Obama has acted criminally to hide his true identity, that Defendant Obama has violated applicable federal law governing the identity of federal officers, that Defendant Obama has completely failed to demonstrate 1) lawful citizenship; 2) a lawful name; 3) a lawful birth site; 4) a lawful selective service registration; 5) a lawful social security number; and 6) natural born citizenship. As a consequence, Defendant Obama does not meet the constitutional standards for eligibility. Therefore, Defendant Obama has no articulable harm as a matter of law. He simply returns to being a civilian. The Court has more than once recognized the close nexus between the freedoms of speech and assembly. De Jonge v. Oregon, 299 U.S. 353, 364 ; Thomas v. Collins, 323 U.S. 516, 530 . It is beyond debate that freedom is an inseparable aspect of the "liberty" assured by the Due Process Clause of the Fourteenth Amendment, which embraces freedom of speech. See Gitlow v. New York, 268 U.S. 652, 666 ; Palko v. Connecticut, 302 U.S. 319, 324 ; Cantwell v. Connecticut, 310 U.S. 296, 303 ; Staub v. City of Baxley, 355 U.S. 313, 321 . Of course, it is immaterial whether the beliefs sought to be advanced pertain to

political, economic, religious or cultural matters, and state action which may have the effect of curtailing the freedom to associate is subject to the closest scrutiny. NAACP v. Alabama, 357 U.S. 449, 460-461 (1958). In the domain of these indispensable liberties, whether of speech, press, or association, the decisions of this Court recognize that abridgment of such rights, even though unintended, may inevitably follow from varied forms of governmental action. NAACP v. Alabama, 357 U.S. 449, 461 (1958). The furtherance of an election that is fraudulent is violative of all liberty interests protected under the United States Constitution and creates an unimaginable harm to all political interests which have been protected in this nation since its founding, including the class of litigants sought to be certified hereunder. The grant of an injunction would serve the public interest. The public is served by having free and fair elections; elections where registered voters in California lawfully chose between candidates who are eligible to hold office.

ALL OF THE DEFENDANTS AND THIS COURT WILL BE GUILTY OF TREASON AGAINST THE UNITED STATES OF AMERICA, PEOPLE OF THE UNITED STATES OF AMERICA AND THE US CONSTITUTION, IF THE CETIFICATE OF VOTE IS CERTIFIED AND CITIZEN OF INDONESIA BARACK OBAMA IS ALLOWED TO BECOME THE US PRESIDENT In 2008 the Plaintiffs did not have all the evidence which became available recently, however recently obtained information shows that 1. according to Obama's school records he is a citizen of Indonesia. 2. according to his mother's passport records his last name is Soebarkah 3. he is using a forged birth certificate 4. he is using a forged Selective Service Certificate 5. he is using a stolen Connecticut Social Security number xxx-xx-4425 which was never assigned to him according to E-Verify and SSNVS 6. available school pictures and documents from Kaelani school in Hawaii show him residing in Hawaii at least until January 1969. his School records from Assissi School in Jakarta, Indonesia, show him under name Barry Soetoro residing in Indonesia from January 1967. As one human being cannot reside in two countries

at the same time for a period of two years, it is clear that there are two distinctive individuals: Barry Obama, who resided in Hawaii and Barry Soetoro, who resided in Indonesia between 1967 and 1969. We have no idea which one of the two came back to the United States of America in and around 1971. Since all the IDs represent forgeries, all of the defendants and this court will be committing HIGH TREASON, if they certify as the legitimate President and Commander in Chief a foreign citizen with all forged IDs and a stolen/ fraudulently obtained Social Security number IF THE DEFENDANTS AND THIS COURT CERTIFY OBAMA AS A LEGITIMATE PRESIDENT, WHILE POSSESSING ALL OF THE DOCUMENTS AT HAND, THEY MAY BE LATER PROSECUTED AS BEING A PART OF A RICO, RACKETEERING CONSPIRACY TO DEFRAUD AMERICAN CITIZENS AND COMMIT FOLLOWING PREDICATE ACTS: 18, United States Code: section 1028 (relating to fraud and related activity in connection to mail with identification 1343 documents, section (relating to wire

1341(relating

fraud),section

fraud},section 1425 (relating to the procurement of citizenship or nationalization unlawfully}, section 1426 (relating to the reproduction of naturalization or citizenship papers), section

1427 (relating to the sale of naturalization or citizenship papers}, section 1503 (relating to obstruction of (relating to obstruction of criminal justice}, section 1510 investigations}, section

1511(relating to the obstruction of State or local law enforcement), section 1542 (relating to false statement in application and use of passport), section 1543 (relating to forgery or false use of passport}, section 1544 (relating to misuse of passport),section 1546 (relating to fraud and misuse of visas, permits and other documents, section 1952 (relating to racketeering), sections 2314 and 2315 (relating to

interstate transportation of stolen property},section 2320 (relating to trafficking in goods or services bearing counterfeit marks), (F) any act which is indictable un_der to the bringing Immigration and Nationality in and harboring certain

Act,section

274 (relating

aliens),section 277 (relating to aiding or assisting certain aliens to enter the United States). This Court should act AS TO THE DEFENDANTS from making an election where the candidate who prevailed is ineligible to serve. The preservation of the integrity of the voting system requires it. CONCLUSION

The record before the court amply demonstrates that Defendant Obama is not eligible/not legitimate for the position of the U.S. Presidency. Plaintiffs have met their burden to demonstrate that the evidence proffered by Defendant Obama to date is falsified, and amounts to criminal falsification under applicable federal law as set forth herein. Plaintiffs have also demonstrated that Obama’s failure to properly register for the selective service system has disqualified him from every holding the office of the President. Plaintiffs have demonstrated and met their burden of proof to establish that Defendant Obama is operating under a fraudulent Social Security number. As a consequence, Defendant Obama does not meet the constitutional standards for eligibility. Therefore, Defendant Obama has no articulable harm as a matter of law. He simply returns to being a civilian. Plaintiffs ask this court for extraordinary relief, in what can only be called extraordinary times. Never before has the nation faced such an audacious usurpation of its offices, it laws, its constitutional protections, its rights, its freedom, even its very life as a Constitutional Republic. While it is an extraordinary demand for relief, the times call for such extraordinary acts by this court as the very last bulwark of freedom in this country.

Dr. Orly Taitz ESQ 29839 Santa Margarita ste 100
Rancho Santa Margarita, CA 92688

Phone 949-683-541,I f ax 949-7 66-7 603 Orlv.ta itz@ sma il.com Counselor for the Plaintiffs

US

District Court

For the Eastern District of California James Grinols, Robert Odden, in their capacity )Case as Presidential

#

12-cv-02997

Electors
) )

)MOTION FOR TEMPORARY

Edward C. Noonan, Thomas Gregory MacLeran, ) RESTRAINING ORDER Keith Judd in

their capacity as

candidates for the U.S.

President
Senate,

v Electoral College, President of the Governor of California, Secretary of of California, U.S.

)

State

) ) ) ) )

Congress

INTRODUCTION

Grinols et alv ElectoralCollege et al Petition

forTRO

1

Plaintiffs bring this action as Presidential Electors and as candidates for U.S.
President, who, having been deprived of lawful process in the statewide election

lor the national office of U.S. President held in Califomia on November 6, 2012, as
a

direct and proximate result ofthe mispersonation and elections fraud perpetrated

by defendant Obama, seek redress from this court to enjoin:

[. Secretary ofState and Governor from certifying the Certificate of Ascertainment
due to lack of legitimacy for office and fraud committed by the citizen oflndonesia

Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack (Barry) Obama
Soebarkah, due to his run for the U.S. Presidency and position ofthe Commander

in-Chief, while using a forged short form birth certificate, forged long form birth cerlificate, forged Selective Service certificate and a stolen Connecticut Social
Security number xxx-xx-4425 as a proof of his legitimacy and fitness for office

2. The Electoral College from tallying their votes

due to lack of legitimacy for

office and fraud aommitted by the citizen oflndonesia Barack Hussein Obama, aka
Barack (BaIry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for forged the U.S. Presidency and position ofthe commander in-Chief, while using a
short fonn birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxx-xx-4425
as a

proofofhis legitirnacy and fitness for olfice
crinols et alv ElectoralColleee et al Petition forTRO

5. U.S. Congress from confirming the elections results due to lack of legitimacy for

office and fraud committed by the citizen oflndonesia Barack Hussein Obama, aka
Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for
the U.S. Presidency and position ofthe commander in-Chief, while using a forged short form birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxx-xx4425
as a proof

ofhis legitimacy and fitness for offrce
Obama from taking the oath of office as a U.S.

6. Defendant Barack Hussein

President on the inauguration day due to his lack of legitimacy for office and fraud

committed by him, as the citizen oflndonesia Barack Hussein Obama, aka Barack

(Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S.
Presidency and position ofthe Commander in-Chief, while using a forged short

form birth cerlificate, forged long form bidh ceftificate, forged selective Seruice
certificate and
a

stolen Connecticut Social Security number xxx-xx-4425 as a

proofofhis legitimacy and fitness for office.
Plaintiffs, who are Presidential electors and Presidential candidates have standing
to raise these claims as directly interested parties. These claims arejusticiable, and
as this court has one last opportunity to act, the claims are not

mool Jacobs v.

Clark County Sch. Dist., 526 F.3d 419, 425 (9'h Cir. 2008). Plaintiffs incorporate

Grinols et alv ElectoralCollege et alPetitionforTRO

herein the complaint and petition for injunctive relief filed herein on 12.12.2012 and exhibits ppl-107 to aforementioned complaint and petition for injunctive
STATEMENT OF FACTS

relief

Plaintiffs incorporate herein the complaint and petition for injunctive relieffiled
herein on 12.12.2012

ad

evhibits ppl-107 to aforementioned complaint and

petition for injunctive relief.
Defendant Obama is not qualified for the office of U.5. President, as he is a citizen of lndonesia operating under an alias.

Defendant Obama is using a forged birth certificate to validate his claim of
an American birth. ln proffering false documents in order to obtain a federal

position, Defendant Obama (in this case, the Presidency) has violated 18
91.1 (falsely representing

USC 5

that he is a US citizen); and 18
Pu

USC

5 1001 (June 25,

1948, ch. 645, 62 Sta\.7 49;

b. L, r.03-322. title XXX |, S 330016(1XL), Sept. 13,
L.

7994,

1-08

Stat. 21-47; Pub. L. 'J.O4-292,5 2, Oct. 11, 1996, 110 stat. 3459; Pub.

108-458, title Vt, 5 67O3(a), Dec. 17, 2004, 118 Stat. 3766; Pub. L. 109-248. title
E

t,

ML(cl, )uly 27,2006, 120 Stat. 603.) in falsifying his identity as a member of the

executive branch of the federal government.

Grinols et alv ElectoralCollege et

alPetitionforTRo

5

Defendant Obama is using a forged Selective Service Certificate to

demonstrate his claim of a lawful registration for the draft, when no such registration occurred. ln proffering a falsified draft registration, Defendant obama has violated 18 Usc 5 1001, and is further disqualified from holding any position within the Executive branch of the United States government pursuant to
s usc s 3328.

Defendant Obama is using a fraudulent Social Security number which was never assigned to him as a proof of his identity. ln proffering a false social security

number, Defendant Obama, is in criminal violation of 42 USC 5 408, which
provides as follows;

(a) ln general

Whoever - (6) willfully, knowingly, and with intent to deceive the Commissioner of Social Security as to his true identity (or the true identity of any other person) furnishes or causes to be furnished false information

to the Commissioner of Social Security with respect to any information required by the Commissioner of Social security in connection with the
establishment and maintenance of the records provided for in section
Grinols et al v Electoral College et al Petition for

TRo

6

Let us therefore brace ourselves to our duty, and so bear ourselves that

if

the Republic of the United States of America lasts for a thousand years, men will
still say, this wos their linest hour, Respecrfrlly submitted this i9 day of bcnnber,2012.

DR. ORLYTAITZESQ Attomey for Plaintif&

Grinols et alv Ehctoral College et al Petluon for TRO

30

Proposed order

et al Petition Grinols et alv Electoralcollege

forTRO

3L

US

District Court

For the Eastern District of California

iames Grinols, Robert Odden, in their capacity )Case# 12-cv-02997
as Presidential

Electors
)

)MOTION FOR TEMPORARY

Edward C. Noonan, Thomas Gregory MacLeran, ) RESTRAINING ORDER Keith Judd in

their capacity as

candidates for the U.S.

President
Senate,

) )
)

v Electoral College, President ofthe

Governor of California, Secretary of

State

of California, U.S.

Congress

l
)
)

Upon consideration ofthe Motion for TRO, Complaint, petition for Declaratory Relief and Injunctive relief incorporat€d by reference, attached exhibits and responsive pleadings Hearing on this court ORDERS as follows
To Grant Temporary Restraining Order pending adjudication on the merits as

follows: To ENJOIN:

l.

Secretary of State and Govemor l}om certifuing the Certificate of Ascertainment

due to lack of legitimacy for office and fraud committed by the citizen oflndonesia

Grinols et alv Electoral College etal Petition

forTRo

32

Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack (Barry) Obama
Soebarkah, due to his run for the U.S. Presidency and position ofthe Commander

in-Chief, while using a forged short form birth certificate, forged long form bifth certificate, forged Selective Service certificate and a stolen Connecticut Social
Security number xxx-xx-4425 as a proofofhis legitimacy and fitness for office

2

.

The Electoral College from tallying iheir votes due to lack of legitimacy for

office and fraud committed by the citizen oflndonesia Barack Hussein Obama, aka
Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his mn for
the U.S. Presidency and position oftlre commander in-Chief, while using a forged short form birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxx-xx-4425
as a

proofofhis legitimacy and fitness for office

3. govemor

ofCA from forwarding the Certificate ofElectoral Vote to the US

Congress due to lack of legitimacy for office and fraud committed by the citiznn

oflndonesia Barack Hussein Obama, aka Barack (Barry) Soetoro, aka Barack
(Barry) Obama Soebarkah, due to his run for the U.S. Presidency and position

of

the commander in-Chief, while using a forged short form birth certificate, forged

long form birth certificate, forged selective Service certificate and a stolen

Grinols et al v Electora I college et al Petition for

TRo

33

Connecticut Social Security number xxx-xx-4425 as a proof of his legitimacy and fitness for office

4. President ofthe Senat€ from presenting the Certificates ofthe Electoral Vote to
the U.S. Congress due to lack of legitimacy for office and fraud committed by the

citizen of Indonesia Barack Hussein Obama, aka Barack (Barry) Soetoro, aka
Barack (Barry) Obama Soebarkah, due to his run for the U.S. Presidency and

position ofthe comrnander in-Chiell while using a forged short form birth certificate, forged long form birth certificate, forged selective Service certificate
and a stolen Connecticut Social Security number rco<-xx-4425 as a proofofhis

legitimacy and fitness for office

5. U.S. Congress from confirming the elections results due to lack of legitimacy for

office and fraud committed by the citizen of Indonesia Barack Hussein Obarna, aka
Barack (Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S. Presidency and position ofthe commander in-Chief, while using a forged
short form birth certificate, forged long form birth certificate, forged selective Service certificate and a stolen Connecticut Social Security number xxr-xx-4425
as a proof

ofhis legitimacy and fitness for office

Grinols et alv Electo.al College et al Petition for

TRo

34

6. Defendant

Barack Hussein Obama from taking the oath

ofoffice

as a U.S.

President on the inauguration day due to his lack of legitimacy for office and fraud

committed by him,

as

tle citizen of Indonesia

Barack Hussein Obama, aka Barack

(Barry) Soetoro, aka Barack (Barry) Obama Soebarkah, due to his run for the U.S.
Presidency and position ofthe Commander in-Chiei while using a forged short

form birth certificate, forged long form birth certificate, forged selective Service
certificate and a stolen Connecticut Social Security number xxx-xx-4425 as a

proofofhis legitimacy

and fitness for office.

Further adjudication on the merits will take place on
So ordered and adjudged

Honorable Morison C. England

Chief Judge U.S. Disfiict Court Eastem District of Califomia

Dated

Grinols et alv Electoral College et al Petition

forTRO

35

Affidavit of of Notice

I Orly Taitz, counsel on the case attest

l. complaint, summons

and exhibits were served on the defendants by

sending aforementioned documents by ovemight Federal express on

12.18.2012
2. Motion for TRO and attached Check list forms were served on the defendants by sending aforementioned documents by ovemight Federal
express on 12.19.2012

/s/ Dr Orly Taitz

ESQ

.//

t2.lg.2ol2

) " n'J

AFFIDAVIT OF IRREPARABLf, HARM
Plaintiffs herein are Presidential Candidates and Presidential Electors.
P residential elections are being

certified within days.

Oath of office ofthe new President

will

be taken next month.

Plaintiffs will suffer irreparable harm ofa lost el€ction and hability to
exercise a right to vote by the Presidential electors-

._.- / . .l
/s/ Dr. Orly Taitz ESQ counsel for

,'a

/ ,1,

Plaintifs

Grinols et alv Electoral Colleae etalP€tition for

TRO

36

Grinols et alv ElectoralCollege et al Petition forTRO

31

UNITED STATES DISTRICT COURT
EASITERN DISTRICT OF CALIFORNIA

TEITPORARY RESTRANING ORDER

(rRo)
CHECKLIST

NOTE:

When filing a Motion for a TRO with the court, you must choose Motjon for TRO. you must complete this document and attach is to your mo on as an attachment in CM/ECF. lf you have qu€stions, please calt th€ CiTECF Holp Desk at 1-866-884-5525 (Sacramento) or 1 -866-884-5444 (Fresno).

(A)

Check

one.

counsgl A Fiting party is acling in pro se n
Filing party is represented by

(B)

Has there been acfual notice, or a sufficient showing of efforts to provide notice to the affected party? See Local Rule 61231 and FRCP 6S(b).

Did applicant discuss alternatives to a TRO hearing?

Did applicant ask opponent to stipulate to a TRO?

Opposing Party: U.S. anomcy .epre6en$ng Feablal detcndants, AG ropresentlng stato dofendents Telephone No.: US Attomey 918-554-2700 AG of CA 9t6i22n360

(C)

Has there been undue delay ln bringing a TRO?

Could lhis have been brought earlier?

Yes:

E

No: A

TRO Checklist - P€ge 2

(D)

What is the irreparable injury? lnabilily by th€ Pre3idontial Electors to vote and have their voL ceralfiod for a logftim.te candldai€, loss ofa contest for U.S. prcsldent, dgprivation ofrlghls rolated to voting by the Preildonllal €leclors Why the need for an expedited hearing?
immedlate Imp6nding u6urpation of lhe U.S. Presldency due to Dotendant Obame's use gf forg€d lDs and u3e of a CT Social Socurity numb.r xxx-rx.4425 which waa hever assigned lo hirh accordlng to E.vedt
and

ssNvs

(E)

Documents to be itled and (unless impossible) sqved on

affectd pafties/counsel:

A

(\

complaint
Motion for

@ (2) E (3) A g E A @ (5) (6) 0

TRo

Brief on ail legal issued pres€nted by the motion Affidavit detailing notice, or efforts to effect notice, orshowjng why it should not be given

Affidavit in support of exigtence of irreparable harm
Proposed order wjlh provision for bond Proposed order with blanks for fixing:

E ! D C n (B)

lime and date of hearing for motion for preliminary injunction
Dale for filing responsive papers Amount of bond, if any Date and hour of issuanc€

For TROS requested €xpart6, proposed order shall notify affected parties then can apply to the court for modification/dissolution on 2 days notic€ or such shorter notic€ as the court may allow. See Local Rulo 61231 and FRCP 65(b)

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ORDER signed by Judge Kimberly J. Mueller on 121'14112 "..-*,*, DENYING Plaintiffs' [2] Request. lf the parties wish to proceed with their request for a temporary restraining order, they are hereby ordered to file the documents listed in this order by 12121112, (Manzer, C)
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Certificate of service
I, Lila Dubert, attest that I am over l8 years old, not a parry to this case and

that I served attached pleadings to all the parties in this case on December 19,?012 by first class mail
i

/V Lila

Dubert {r.' *i:,'*^_,--

cc u.s. and lnternat;onal media

cc Congrcssnan Gregg Harper (R-MS) Chairman

United State House Administration Subcommittee on Eledion
307 House Office Building

Washington DC 20515 ph 202-225-5031
fax 202-22s-5797 ccGregg Harper, Mississippi, Chairman

Aaron Shock, Illinois Rich Nugent, Florida Todd Rokita, lndiana Bob Brady, Pennsylvania, Ranking Member
CharliE Gonzalez, Texas
Grinols et al v Electoral College et al Pelitlon for

TRO

1

cc Congressman Darrell Issa

Chairman
House Oversight Committee 2347 Raybum House Building

Washington DC, 205 I 5

cc Congressman Mike Rogers

Chainnan
House Intelligence Committee
133 Cannon House Office building

Washington DC 20515

cc Congressman Sam Johnson

Chairman House Subcommitte.e on Social Security
House Ways and Means Committee 2929 N Central Expy, 240

Richadso'n, TX 75080

cc Congressman Dana Rohrbacher
Grlnols et al v Electoral College

d

al Petition for TRO

Chairman House Subcommitdee on Oversight and Investigations'
House Committee on Foreign Affairs 2300 Raybum House Building

Washington DC 20515

US Commission
on Civil Rights 624 Ninth Street, NW

\lrashington, DC 20425 C

Public Integrity Section Department ofJustice
950 Pennsylvania Ave, NW

Washington DC 20530-0001

Int€r -American Commission on Human Rights
1889 F Street, N.W.. Washington, D.C., 20005 U.S.A..

Tel.:

202-458{002, 202458-6002.

Fax: 202458-3992.

Grinols et al v Electoral Colle8e et al Petltlon for

TRo

3

Office of the United Nations High Commissioner for Human Rights (OHCHR)
Special Rapporteur on the Situation ofHuman Rights Defenders The Honorable Mrs. Margaret Sekaggya
Pa.lais des Nations

CH-121I Geneva 10, Switzerland
Intemational Criminal bar Hague

BPI-ICB.CAPI
Head Offrce Neuhuyskade 94 2596

XM The Hague

The Netherlands

Tel :0031

(70)3268070

0031 (70)3268070

Fax : 0031 (70) 3353531

Email: info@bpi-icb.org
Website: www.bpi-icb.org Regional Office - Arnericas / Bureau rdgional - Am6riques / Oficina regional Amdricas
137, rue St-Piene

Montrdal, Qudbec, Canada, lI2Y 3T5

Grinols et alv Electoral College et al Petition

forTRO

4

Tel : 001 (514)

289-8757

001(s14)289-87s7

Fax : 001 (514) 289-85m

Email: admin@bpi-icb.org
Website: www.bpi-icb.org

Laura Vericat Figarola

BPI-ICB-CAPI
Secretaria Barceiona

lawa_bpi@icab.es Address: Avenida Diagonal!29
08029 Barcelonq Espafla

12'

tel/fax 0034 93 405 14 24

United Nations Commission for

Civil Rights Defenders
Orsolya Toth (Ms) Human Rights officer

Civil and Political fughts Section
Special Procedures Division

Office of the Hieh Commissioner for Human Rights
Grinolset alv Electoral College et alPetition for

TRO

5

tel: + 41 22917 91

51

email: ototh@ohchr.org

et Grinols et alv ElectoralCollege

alPetitionforTRO

6

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Dr. Orly Taitz ESQ

29839 Santa Margarita ste 100
Rancho Santa Margarita, CA 92688

Phone 949-683-54Lt f ax 949-7 66-7 603

Orlv.taitz@smail.com
Counselor for the Plaintiffs

US District Court

For the Eastern District of California James Grinols, Robert Odden, in their capacity )Case # as Presidential

Electors

) Declaratory and lnjunctive

Edward C. Noonan, Thomas Gregory MacLeran, ) Relief

as candidates for the U.S. President
Keith Judd in

their capacity

)Petition for
) Extraordinary Emergency Writ of

v Electoral College, President of the Governor of California, Secretary of of California, U.S. Congress, Barack
Obama, aka Barack (Barry) Soetoro,

Senate,

)Mandamus/ Stay of Certification
) of votes

State aka a

for Presidential

Hussein ) Candidate Obama due to
)elections fraud and his use of
I invalidfiorged/ fraudulently

Barack Obama Soebarkah, in his capacity as

Candidate for the U.S.President in

2012

)obtained lDs

(petition for permanent injunction is pending)
Grinolsetalvelectoralcollege2012,PresidentoftheSenateetal
Petition for

STAY

1

Petitioners are seeking certification as class representatives and class action

certification
PARTIES

Edward Noonan, Hereinafter "Noonan", winner of the California American

Independent Party Primary for the U.S. President. Edward Noonan's Certificate of nomination as the American lndependent party candidate for the U.5. President is attached as exhibit 1. Noonan resides at 1213 11th Ave, Olivehurst, CA 95961.
Keith Judd, Hereinafter "Judd" -Democratic Party candidate for the U.5. President, a runner up in the Democratic party primary in West Virginia, received 40% of the

vote, more than any other Democratic party challenger to Obama, would be a Democratic party nominee, if it is found that Obama was not eligible due to elections fraud and use of forged lDs.
Thomas Gregory MacLeran, {Hereinafter "MacLeran") Candidate for the US President, registered with the FEC, would be affected if it is found by the court

that obama as not a legitimate candidate for the U.5. President due to elections fraud committed by him and due to his use offorged lDs. ln case a stay is issued and a new election is scheduled, MacLeran's rights will be affected.
James Grinols is a Republican party elector who was deprived of his right

to

participate in the electoral college 2012, due to the fact that Democratic party electors representing candidate Obama were seated based on fraud and use of forged lDs by Obama. Grinols is seeking a certification as a representative of a class of Republican party Electors and electors in general seeking to stop Electoral
college 2012 from certifying electoral votes obtained by fraud and forgery Robert Odden is a Libertarian party elector, who was deprived of his right to pa rticipate in the electoral college 2012, d ue to the fact that Democratic party

electors representing candidate Obama were seated based on fraud and use of forged lDs by Obama. Grinols is seeking a certification as a representative of a class of Libertarian party Electors and electors in general seeking to stop Electoral
college 2012 from certifying electoral votes obtained by fraud and forgery
Grinols et alvelectoralcollege 2012, President ofthe senate et

al Petition forSTAY

Electoral College 2012

-

20L2 Electoral College is sued as a governmental agency

that was elected as a result of 2012 general election and which convenes only once, on Decembe r 17 ,2072 - Electoral college is sued to STAY certification of electoral votes 2012 due to fraud and use of forged lDs by Candidate Obama.
ln case the court finds that it is not willing to adjudicate against the electoral

college as one governmental agency, Plaintiffs are seeking adjudication against 55 California electors, who are subject to the jurisdiction ofthis court and joining 258 remaining Democratic Party electors from 26 other states, who are pledged to Candidate Obama, based on pendent party jurisdiction as the claim arose from a common nucleus of operative fact and under Exxon Mobil v Alapatah services 545 U.5. 546 and under 28 USC 1367. President of the Senate - Joseph Biden, President of the Senate is sued in his official ca pacity to Stay/enjoin presentment by the President of the senate to the joined session of Congress the results of 2012 electoral college elections and in his capacity as a representative of Congress enjoining Congress from certifying the results of 2012 electoral college elections due to fraud and use of forged/

fraudulently obtained lDs and fraudulently obtained Connecticut Social Security numberxxx-xx-4425 by Candidate Barack Hussein Obama
U.S. Congress is sued as a governmental agency in it's capacity and ministerial

duty to vote and confirm the results of the electoral college election of the U.s. President. Plaintiffs are seeking to enjoin the U.S. congress from voting for Candidate Obama due to fraud committed by Obama and his use of forged lDs as
a basis of his eligibility for the U.5. Presidency

Governor of California and Secretary of State of California are sued in their official ministerialduty as state officials certifying results of 2012 elections and presenting the certificate of ascertainment to the electoral college.
Barack Hussein Obama- candidate for the U.S. President
VENUE AND JURISDICTION

Grinols et al v electoral college 2012, President of the Senate et

al Petition for STAY

3

This court has Jurisdiction as the U.S. Federal agencies are defendants, and

controversy involves federal question

28 U.S.C. g 1331 (federal question)

Venue is proper as defendants Governor of California and secretary of state of California are located in the Eastern District of California

LEGAL BASIS

The United States Electoral Coll€ge is the institution that oilicially elects the President and Vice Presjdent of the United States every lour years. The President and Vice President arc flot
elected directlyby the voters. Instead, they are elected indircctly by "electors" who are elected by

populirl vote on a state by state basis. Eleclors are apportioned to each state and the District of
Columbia, but not to territorial possessions of the United States, sLrch as Puerto Rico and GLla$.
The number olelectors in each state is equal to the number of members of Congress to which the state is entitled. The Twenty-third Amendment has always resulted in the District of Columbia

having three elcctors. There are 538 electo$, based on there being 435 representatives and 100
senators, plus the three electors from the District

of Columbia. Electors chosen on Election Day

meet in their respective state capitals (or in the case of Washington, D.C., within the Distdct) on

the Monday after rhe second wednesday in December, at which time they cast their electoral
votes on separate ballots for President and Vice President.

The Electoral College never actually meets as one body. Although procedures in each state vary

slightly, the electors generally follow

a similar series of

steps, and the Congress has

constitutional authority to regulate the procedures the states tbllow. The meeting is opened by
the election

ce ification official-often that

state's secretary

of

state or

equivalent-who

reads

the CERTIFICATE OF ASCERTAINIIENT. This documcnt sets forth who was chosen to
Grinols et alv electoralcollege 2012, President of the Senate et

al Petition for

STAY

cast the electoral votes. Each elector submits a

w

tten ballot with the name of a candidate for

President. The next step is the casting of the vote lbr Vice President, which follows a similar
Pattern.

Each state's electors must complete six CERTIFICATES OF VOTE. Each Certificate of Vote must be signed by all of the electors and a CERTIFICATE OF ASCERTAINMENT must be
attached to each of the Certificates

of Vote. Each Certificate of Vote must include the names of

those who received an electoral vote for either the office of President or of Vice President. The electors certify the CERTIFICATES OF VOTE and copies of the Ceftificates are then sent in the following fashion

One is sent by registered mail to the President of the Senate (who usually is the Vice President);

Two are sent by registered mailto the Archivist

ofthe United States;

Two are sent to the state's Secretary ofState; and One is sent to the chiefjudge

ofthe United States district court where those eledors met.

A staff member of the PRESIDENT OF TIIE SENATE collects the Ceftificates of vote
they ar.ive and prepares them for the joint session

as

of the

Congress. The Certificates are

arranged-unopened-in alphabetical order and placed

in two special mahogany boxes.

Alabama tluough Missouri (including Washington, D.C.) are placed in one box altd Montana through Wyoming are placed in the other box. The Twelfth Amendment mandates that the CONGRESS assemble injoint session to count the electoral votes and declare the \{inners ofthe

election.l6l The session is ordinarily required to take place on January 6 in the calendar year

immediately following

fte

meetings

of the presidential electors. Si[ce the Twentieth
al Petition for
STAY

Grinols et alv electoral college 2012, President ofthe Senate et

Amendment, the newly elected House declarcs the winner of thc election; all elections before
1936 were determined by the outgoing House instead.

The meeting is held at I:00 pm in the Chamber of the U.S. House of Reprcsentatives. Thc sitting

Vice President is expected to preside, but in several cases the President pro tempote of the
Senate has chaired the proceedings instead. Results least one Reprcsentative and one senator.

of the electoral vote can be challenged by at

REQT]EST

FOR CLASS ACTION CERTIFICATION AND

FOR

CERTIFICATION OF PLAINTIFFS AS REPRESENTATIVES OF A
CLASS

Plaintifls are seeking a class certification and a certification of a
representativc herein.

class

Plaintif'f Grinols is seeking certification as a representative of a class of
Republican Party electors and electors in general.

Plaintiff Odden is seeking certification as a representative of a class of
Libertarian Party electors and electors in general.

Plaintiff Judd is seekng certification as a representative of a class of the
Democratic Party Presidential candidates and Presidential candidates in general PlaintilT Macleran is seeKng certit'ication as a reprcsentative of Republican party candidates and Presidenl.ial candidatcs in general
Grinolsetalvelectoralcollege2012,PresidentoftheSenateetal
Petition for

STAY

6

Plaintiff Noonan seeks certification of a representative of a class of minor
party Presidential candidates and Presidential candidates in general

This action can be maintained as a class action under FRCP Rule 23, which
states as

follow:

(a) Prerequisites. One

or more members of a class may sue or be sued as
if:

representative parties on behalf of all members only

(l )The class is so numerous that joinder of all members is impracticable; (2)There are questions of law or fact cornmon to the class;

(3)The claims or defenses of the representative parties are typical of the
claims or defenses of the class; and
(4) The representative parties

will fairly and adequately protect the interests

of the call.

(b) Types of Class Actions. A class action may be maintained of Rule 23(a) is
satistied arrd if:

(l)

Prosecuting separate actions by or against individual class members

would create a risk of:

(A) Inconsistent or varying adjudications with respect to individual class
members that would establish incompatible standards of conduct for the party opposing the class; or

Grinols et alv electo

ra I

college 2012, President ofthe Senate €t al Petition for

STAY

7

(B) Adjudications with respect

to

individual class members that, as a

practical matter, would be dispositive members

of the interests of the other
adjudications

not parties to the individual

or

would

substantially impair or impede their ability to protect their interests;

(2)

The party opposing the class had acted or refirsed to act on grounds

that apply generally to the class, so that final injunctive relief or
corresponding declaratory relief whole; or

is

appropriate respecting the class as a

(3)

The court finds that the questions of law or fact common to class

members predominate over any questions affectin-a

only

individual

members, and that a class action is superior to other available methods for

fairly and efficiently adjudicating the controversy. The matters pertinent to
these findings include:

(A)The class members' interests in individually controlling the prosecution
or defense of separate actions;

(B)The extent and nature

of any litigation

concerning the controversy

already begun by or against class members;

(C)The desirability or undesirability of concentrating the litigation of the
claims in panicular lorum: and (D) The likely diffrculties in managing a class action.
Grinols et al v electora I college 2012, President ofthe Senate et

al Petition for5TAY

The members of the class are so numerous that it is impossible and impracticable
to bring all of them to this court as named plaintiffs.
Damage to Plaintifts is similar to damage of other class members.

Not certifying this legal action as a class action can lead to conllicting rulings and
judgments;
There are questions of law or fact common to the class;

The claims or defenses of the representative panies are typical of the claims or
defenses of the class; and

Plaintifti will fairly and adequately protect the interests of the class.

R,EQUEST FOR JURY TRIAL
Due to the fact that high level officials are Defendants in this case, and due

to high probability of pressure on the presiding judge,

7th

Amendment right to jury

trial is asserted and jury determination of all issues, facts and law is demanded in
the hearing.

1. Plaintiffs have uncovered
in the state of California

one and a half million invalid voter registrations

Grinolsetalvelectoralcollege2012,PresidentoftheSenateetal

Petition for

STAY

9

2

Evidence shows that one of the leading candidates for the U.S. Presidency,

Barack Obama, is not qualified for office, as he is a citizen of lndonesia and is using a forged birth certificate, forged Selective Service Certificate and a Social

Security number which was never assigned to him as a proof of his identity and

eligibility to the

U.S. Presidency.

3.

The issue of one and a half million invalid voter registrations in the voter

rolls of California represent an issue of great public importance. According to California elections statute 2150 in order for a voter

registration to be valid, a perspective voter had to provide information in
some eight areas, such as name, address, birth date, state, where he was born, evidence of prior voter registration and so on. PLAINTIFF'S
COU NSEL

Taitz requested from the secretary of State Bowen an official

DVD of voter rolls. She forwarded this DVD to several computer analysts.

Plaintiffs are attaching as an exhibit verified affidavit of a Computer
engineer David Yun, who analyzed the voter rolls and found over one and a half million invalid voter registrations in California, in violation of elections statute 2150. Mr. Yun foun d 756,21.3 records without a birth
place, 685, 739 records where instead of a required
na

me of the state of

birth,
Grlnols et

U. S. or U.5.A was entered, 141,851 possibly duplicate records,
a

Iv

electoral college 2012, Presidentofthe Senate et

al Petition for

STAY

10

130,019 records with birth date over 100, 757 records without a birth

date,898 records without
Exhibit
1.9

a

first name. (Exhibit 11,12)Additionally,

shows e-malls from orange county and Los Angeles County,

where employees of the Registrar's office admit to falsification of voter
data by entering date 1900, when there is no date or entering USA or Us when the name of the state of birth is missing. Moreover, it was reported

that the number of registered voters in California went up by over
million since the last Presidential election in 2008 and most ofthe

a

increase came from on line registration. The problem with this, is that

nobody checks voter lDs, when one registers on line, Secretary of State Bowen issued directives, where attendants at precincts are not allowed

to check identifications at the precincts, can lead to even more voter
fraud, whereby the one and a half million invalid voter registrations might be only a tip of the iceberg

4. An issue of legitimacy to the U.S. Presidency of Barack Obama, citizen of
lndonesia usurping the U.S. Presidency with the aid of forged lDs and
a

stolen Social Security number, which was never assigned to him, is the number one issue in the natlon in terms of its' importance.

Grinols et alv electoralcollege 2012, Preside nt of the senate et

al

PetitionforSTAY

11

5. According to Article

1, section 2

ofthe

U.S. Constitution U.S. President is

supposed to be a natural born U.5. citizen

6. Millions of U.S. citizens wrote to their elected officials and Secretaries of
State seeking confirmation of Obama's eligibility.

On April 27,2011 just 4 days prior to scheduled hearing
in the gth Circuit Court of Appeals of a challenge Keves. Barnett et al v Obama 09-

56a27 and 10-55084. brought by under signed counsel, Obama released, what he claimed a copy

of

his original birth certificate. Within hours there was

a

mou nta in of evidence

to show that the a lleged copy of the birth certificate was

a

computer generated forgery, not a document created with a typewriter in 1961.
Evidence will be discussed later.

7.

ln the last four years hundreds of desperate U.S. citizens filed legal

actions in state and federal courts challenging Obama's legitimacy for the
U.5. Presidency. As of now there was a systemic and egregious denial of
7th

amendment right to

a

jury trial on this issue of paramount importance

to the nation. There was a systemic jury nullification. Judges presiding in
Obama's eligibility challenges routinely dismissed the cases based on technicalities. As of today not one single judge in the nation of 314

Grinolsetalvelectoralcollege20l2,PresidentoftheSenateetal

PetitionforSTAY

12

million people saw any original ldentification papers for Obama. Obama's original birth certificate is sealed, original application for Selective Service
was never found and supposedly destroyed, his mothe/s passport

records prior to 1.965 are claimed to be destroyed, immigration records

for August 1961 are missing from National Archives, his college records

that could show citizenship in application and registration are sealed,
Student Clearing House shows him only 9 months in Columbia instead of claimed 2 years, E-verify and SSNVS show that he is using in his tax returns a Connecticut Social Security number xxx-xx-2225 which was
never assigned to him.

8. After four years and hundreds of legal actions not

one single judge or

jury in the nation has seen the original application to the Social Security
by Obama and ruled that he has a valid Social security number, not one single judge or jury saw a n origina I birth certificate for Obama and ru led

it to be genuine. The level of lawlessness and corruption in the highest echelons of power in relation to Obama's forged IDs exceeded the

Watergate by far.

9.

Evidence of fraud and forgery in Obama's records is as follows:

Grinols et alv electoralcollege 2012, President ofthe Senate et

al petjtion forSTAY

13

10. Barack Hussein Obama (Hereinafter Obama) never provided any valid

documentary evidence of his natural bom status, which is requircd fbr one

to be a candidate for the U.S. Presidency according to the Article
section

2,

I of the U.S. Constitution.

11. Obama placed his candidacy on the ballot claiming to be a natural-bom

citizen based on forged identiflcation papers. Exhibit 8 Allidavit of
Ronald J. Polland PhD states "With my experience and specialization

in digital and film imaging, my findings are conclusive, as outlined in
exhibit "1", that the PDF image submitted to the public by its posting
on the White House website is a fabricated forgery created with the

intention to defraud and disenfranchise the American People into
trelieving that Barack Obama was a legal U.S. citizen and a fully
qualifred candidate for President."
12.

A natural bom citizen would be expected to have valid U.S. identification
papers, such as a valid long lbrm birth certificate and a valid Social Security number, lawfully obtained by presenting a valid birth certificate

to the Social Security Administration and which can be verified through

ofhcial U.S. Social Security verification services, such as E-Verify and
SSNVS.

Grinols et al v electoral college 2012, President of the Senate et al Petition for

STAY

14

13. The most glaring evidence

of Obama's lack of natural bom status

and

legitimacy lbr the US Presidency, is Obama's lack of most basic valid
identification papers, such as a valid Social Security Number ("SSN") and

his use of a liaudulently obtained Social Security Number from the state

of Connecticut, a state where he never resided, and which was never
assigned to him according in part to SSN verification systems "E-Verify" and SSNVS. (Exhibit 7,

l0

to

Affidavit of elections challenge-a{fidavit

of Linda Jordan and printout from E-Verify and SSNVS, showing
that Connecticut Social Security used by Obama, was never assigned
to him)

14.

Reports from licensed investigator Susan Daniels ("Danicls") show

that for most of his life Obama used a Connecticut Social Security

Number xxx-xx-4425 issued in 1977, even though he was never
resident of the State of Connecticut.

a

ln

1977 Social Security numbers

were assigned according

to the

state where the Social Security

applications were submitted. The first three digits of the Social Security

number assigned prior to 2011 signified a state, where an individual applied for his SSN and where

it

was issued. Obama is using a SSN

starting with 042, which signifies the state of

CT. In

1977 Obama was

nowhere near Connecticut, but rather a young student at the Punahoa
crinolsetalvelectoralcollege2012,Presidentofthesenateetal

PetitionforSTAY

15

school

in Hawaii, where he resided. (Exhibit 15, Sworn Affidavit of

Susan Daniels, att€sting to the fact that Obama is fraudulently using a

Connecticut Social Security number, which was nev€r assigned to him)
15. Additionally, according to the review performed by licensed investigxtors Sankey and Daniels, and as publicly available, national databases revealed

another bifth date associated with this number, a bifih date of 1890. In or

arowi

1976-71, due

to changes in the Social Security Administmtion,

many elderly individuals who never had Social Security numbers before,
had to apply for their Social Security numbers fbr the fust time in order to

obtain Social Security Benefits. It appears that the number in question was assigned to an elderly individual

in Connecticut around March of

1977.

The death of this elderly individual was never repofted, and from around 1980 this number was fraudulently assumed by Barack Obama. (See Exhibit 15 atturched hereto, Affidavit of Susan Daniels.)

16.

Scnior Deportation Officer fiom the Department

of

Homeland

Security ("DHS"), Mr. John Sampson ("Sampson") provided an afhdavit
attesting to the f'act that indeed, according to national databases, Obama is

using a Connecticut SSN even though there is no reasonable justification

or explanation for such use by one who resided in Hawaii in and around
Grinols et alv electoral colleee 2012, President of the Senate el

al Petition for

STAY

the time the Social Security number in question was issued.
Declaration

(Sez

of

elections chalLenge, Exhibit

9, Affidavit of

senior

Deportution officer John Scunpson, attesting to.frqu(l in Obama's SSN)

17. In 2010 Obama posted online on WhiteHouse.gov

his 2009 tax

retums. He originally did not "flatten" the PDF file thereof, so all the
layers of modilication of the file became visible to the public. One of the

pages contained Obama's

full

SSN xxx-xx-4425. Taitz received an
Papa

affidavit from Adobe Illustrator program expert Mr. Felicito

("Papa") attesting to the fact that the tax retums initially posted by Obama
contained the full Connecticut SSN xxx xx-4425. While the file was later

"flattened" and the SSN can no longer be seen, thousands of U.S. Citizens
and individuals around the world were able to obtain the original

file with

the

full SSN.

(See

Alfrdavit of Elections Challenge Exhibit 6 attached

hereto, Affidavit of Felicito Papa.)

18.

Taitz received an affidavit from a witness Linda Jordan (Hereinafter

"Jordan"), who ran an E-verify check for the aforementioned Social
Security number, which was posted by Obama on line as his number.

According to E-Verify, there is no match between Obama's name and the SSN he used on his tax returns and Selective Service application. (See Af{idavit

of

elections challenge, Exhibit

7 attached hereto,
77

Grinols et al v electoral college 2012, President of the Senate et

al Petition for STAY

Affidavit from Linda Jordan). Obama's

close associate, William Ayers,

in his book Fugirive Days, admitted to creating over a hundred fraudulent
Social Security Numbers using names of deceased inlants who did not get

their Social Security numbers before their deaths. As he states in Fugitive Days, "After the Baltimore fiasco, stealing ID was forbidden. Instead we
began to build

lD

sets around documents as

tlimsy as a lishing license or a

laminated card available in a Times Square novelty shop called ' Official

ID." We soon figured out that the

deepest and most foolproof

ID had

a

govemment-issued Social Security card at its heart, and the best source of
those were dead-baby birth certificates.

I

spent impious days over the next

several months tramping through rural cemeteries in Iowa and Wisconsin,

Illinois and Norlh Dakota, searching for those sad little markers of people
bom between 1940 and 1950 who had died between 1945 and 1955. The
numbers were surprising: two

in one graveyard, a cluster of fourteen in

another. Those poor souls had typically been issued binh certiticates-

available to us at any county courthouse for a couple of bucks and a simple form with information I could copy tiom the death arnouncement
at the archive of the local paper-but they had never applied fbr a Social Security card. Collecting those birth certificates became a small industry, and within a year we had over a hundred. For years

I

was a paper-made

Grinolsetalvelectoralcolle8e2Ol2,PresidentoftheSenateetal

PetitionforSTAY

18

Joseph Brown, and then an Anthony Lee, remarkably durable identities.

My on-paper ofhcial residences: a transient hotel in San Francisco and

a

warehouse in New York." Willitun Ayers, Fugitit:e Days. Association and close tiiendship with Ayers is an additional indication and circumstantial

evidence

of

Social Security fraud by Obama, nnd his lack

of

valid

identification documents to prove not only natural bom status, bul any
status .lor that matter. Additionally, two of Obama's rclatives, his aunt and

uncle, who came from Kenya and are residing in the U.S. illegally, were
able to obtains illegally Social Security numbers, which they are using to
get housing and employment, therefore there is a pattem of Obama's close

associates and

family member either manufacturing fraudulent Social

Security cards and /or usin-g fraudulent Social Security cards. 20.For nearly three years after his inauguration Obama refused to provide to the

public his long form bifth certiticate. On April 27,2011, when Obama posted

his alleged long lbrm birth certificate online, just as with his tax retums, he originally did not flatten the file, which mcans that anyone with an Adobe Illustrator program on his computer could see layers of alterations in this
alleged "birth certificate" which looked like

a complete fraud and

hoax.

Multiple long form birth certiflcates from 196l are available. In those years
green sat'ety paper was not available and was not used. Other bifih cefiit'icates,
Grinols et

a v electoral college 2012, President of the senate et al Petition for

STAY

19

as one

for Susan Nordyke, bom the next day on August 5, 1961, in the

same

hospital, and signed by the registrar on August 11, 1961, show white paper with

yellow aging stains, clear borders, raised seal and a lower serial number.
(Exhibit 20) Obama's alleged birth certificate is on a safety paper, which was not used

in

1961, docs not have a clcar paper, no raised seal, and the serial

number is higher than the numbers issued later by the same Registrar. S€e

Exhibit 21. In July of 2012 Sheriff Joe Aryaio of Maricopa County, Arizona
released results of his 6 months investigation. Arpaio released a swom affidavit,

attesting to the fact that Obama's alleged bifih certificate posted by Obama on

line represents a computer generated forgery, additionally he found Obama's
Selective service certificate and Social security card to be forged. (See Affidavit

of elections challenge Exhibit 18 Afidavit of Sheriff Joseph Arpaio attesting to for-sery

in

Obama's birrh certificate, Selective service certificate and Social

Security number ). Similady, invesdgator Michael Zullo of Maricopa county,

AZ provided a 16 page affidavit (Exhibit 2.A) where he
Obama's

attests

to tbrgery in
law

IDs and systematic obstruction of Justice and evasion of

enforcement by corrupt govemmental officials who are compJicit in this cover
up.

2l-

According

to the affidavit from Adobe

Illustrator expert

Papa

(Affidavit of elections challenge Exhibit 5 affidavit of Felicito Papa
Grinols et al v electoral college 2012, President

ofthe

Senate et

al Petition for

STAY

20

attesting to forgery

in

Obama's birth certificate), the released image

digital file showed layers of alteration of the alleged birth certificate. It
showed a signature of Obama's mother, Stanley Ann D. Soetoro (hcr married

name by her second husband), where

it

looks as though "Soetoro" was

erased, whiten out and computer graphics used to add "unham Obama" and a

signature "Stanley Ann Dunham Obama" was created by pasting and filling
the blanks with computer graphics.

22. An affidavit from an elections clerk in Honolulu, Hawaii Tim Adams, who
checked Obama

in both Honolulu hospitals and there are no birth records for Barack

in either of them. (Election challenge Exhibit 4 affidavit of Timothy

Adams)

23. Taitz received an affidavit from scanning machines expert Douglas Vogt. ("Vogt") (See ffidavit o;f Elections chalLenge Exhibit 2 hereto Affidavit of
Douglas Vogt.) vogt attests to funher evidence of fbrgery, such as diff'erent
colors of ink used. Some of the document shows as "gray scale" scanning, some
as black and white scanning, and some as color scanning.

It shows difl'erent types

of letters and variations in keming, meaning some letters are encroaching into the
space

of other letters which is possible only with computer graphics, not with

a

typewriter used in 1961. Numerous other parameters lead to the same conclusion,
that the documcnt in question is not a copy of a 196l typewritten document, but a
Grinols et alv electoralcollege 2012, PresidentoftheSenateetal Petition for

STAY

2I

computer-generated forgery, created by cutting and pasting bits and pieces f'rom

different documents and filling in the blanks with computer graphics.

24. Affidavit of Chris Strunk (Exhibit
passport records received by Strunk

14) shows

that in Obama's mothers

in

response

to his FOIA

request

submitted to the Department of State, Obama is listed under the name

Barack Obama Soebarkah. There is no evidence of Obama ever legally
changing his name.

25. Aftidavit and an attached article of typesetting expert Paul Irey (Elections challenge exhibit

3

)

provide additional evidence

of

forgery in Obama's

allegcd bifth certit'icate, as difl'erent parts of the document in question are typed using different fonts and sizes of letters and are cut and pasted from different
documents. Irey, who has 57 years of experience in typesefting,

tlping, printing

and over 20 years of experience in compuler graphics, is stating that the alleged

birth certillcate is a computer generated forgery and that a document created by

typing with a typewriter cannot have different spacing between letters, keming,
different shapes and sizes of letters and a white halo around letters and lines.
26. ExhibiL

l6 Cover

page and page 31 of the transffipt of March 25th 2010

session of the assembly of Kenya conlain part of the speech of minister of

Grinols et alv electoral college 2012, President

ofthe

Senate et

al Petition for

STAY

22

Lands

of

Kenya, James Orengo. In his speech Orengo clearly states that

Obama was bom in Kenya and not a native U.S. citizen.

27. Exhibit 17 represents Obama's biography, which he submitted to his

literary agent Acton Dystel, which was published in 1991 and was posted on the agency website until 2007, states "Barack Obama, first AfricanAmerican President of the Harvard Law review, was born in Kenya and
raised in Indonesia and Hawaii." In 2007, when Obama startcd to run for
the U.s. Presidency and decided that he needs to be born in the U.S. and needs to be a natural bom U.S. citizen, the biography was scrubbed from the offrcial

web site
machine.

of Acton Dystel, but was found in

archives and on Wayback

28.Additionally, in his school records in Indonesia Obama is listed under the
name Soetoro and citizenship lndonesian (Affidavit of Elections challenge

Exhibit 13 Obama's registrtttion
shotving

in

Assissi schooL

in Jqkarta

Indonesia,

hin

using his stepfcuher's last name Soetoro &nd citizenship

Itrtlonesian

).

Exhibit

1l

represcnts

a DVD of the swom testimony of

witnesses Papa, Jordan, Sampson, Vogt, Strunk, Daniels,

Taitz

attesting to

fraud and forgery in Obama's identilication records during trial Farrar et al v
Obama OSAH-SECTSTATE-CE- t2 court of Georgia.
Grinolsetalvelectoralcollege20l2,PresidentoftheSenateetal
1

5

136-60-MALIHI in the administrative

PetitionforSTAY

23

DECLARATORY RELIEF
Plaintiffi incorporate all prior paragraphs
as

if fully pled herein

29. All of the above evidence showed Obama to be using forged
Identification papers and

a Social Security number, which was

never

assigned to him. Aforementioned document show Obama's citizenship to be

Indonesian. There are no valid identification papers to show Obama to be a natural bom U.S. citizen.

30. Obama is running fbr the U.S. Presidency in 2012 election comrnitting

fraud, claiming to be a natural born U.S. citizen, and using forged and
lraudulently obtained IDs as a basis for his natural born U.S. citizen status

31. Based on the above

presented evidence Plaintifs are seeKng

DECLARATORY RELIEF that candidate Obama lacks the constitutional
requirements to become the U.S. President due to the fact that Obama is not a

natural-bom citizen of United States and was placed on the ballot by virtue of

fiaud, and his use
documents-

of

lbrged and liaudulently obtained identification

32. Secretary of State of California and Govemor of Califomia are the state

officials, who have the ministerial duty of Presenting the Certificate of
Ascertainment to the members of the Electoral College
Grinols et alv electoralcollege 2012, President ofthe Senate et

al

PetitionforSTAY

24

33. Members of the Electoral College 2012 are electors, who are required to

vote for their pledged candidates. absent

a court order of STAY or

INJUNCTION the members of the electoral college will have to vote for
Obama

in the jurisdictions, where he won the popular vote or they may

be

subject to penalties even

if

they are lbrced to violate the law and violate their

oath of office to uphold the Constitution. President of the Senate has a ministerial duty of presenting the Certificates

of

Vote to the U.S. Congress.
U.S. Congress has a ministerial duty of voting to confirm or refuse to confirm
the rcsults of the Electoral College vote.

EQUITABLE RELIEF
EMERGENCY STA Y/MANDATE FOR STAY/PRELIMINARY
IN.TUNCTION
Plaintiffs incorporate all prior paragraphs as if fully pled herein.

34. Equitable remedy is warranted as economic remedy is not sufflcient.
Plaintiffs who are candidates for the U.S. President and loss of election cannot
be cured wil.h economic damages. Plaintifts, who are electors, lost their right

to participate in 2012 Electoral College. Plaintiffs are stating that they are
al Peiition for STAY

Grinols et alv electoralcollege 2012, President ofthe Senate et

25

improperly prevented from competing in the general election. Additionally,
they are alleging that Candidate Obama is improperly allowed to compete in
the general election, even though he is a foreign national, he is using a last name, which is not legally his and he is using forged/ fraudulently obtained

identification papers as a basis of his identity. Plaintiffs have suffered and
continue to suffer an undue hardship. 35. Secretary of State

will not suffer any hardship if the Petition for a Writ of

Mandamus/ stay is granted.

36.In balancing the hardships, the hardship suffered by the Plaintiffs
outweighs the non-extant hardship to the defendant.
37. Granting Petition for Writ of Mandamus/ Stay is in Public Policy, as it

will

ensure integrity fraud.

of elections and will protect the public from the

elections

38. Precedent of McCarthy v Briscoe 429 US

l3l7,97

S Ct 10; 50

L Ed 2d

49; 1976 U.S. Lexls 4129 states that a stay can be granted by a single justice
to either add or remove a candidate.
39. Rqcqnt precedelt gf Drovlded srmrlar relrel

Miller v Campbell 3:10-cv-252 RRB U.S. District

1'Therefore, for the reasons articulat-ed above and by
Defendants

Grinols et al v electoral college 2012, President ofthe Senate et

al Petition

forSTAY

26

in thelr

Motion Lo D.ismiss for Lack of Federal
responded to at Docket

Question JurisdicLlon or in the Alternative to Abstain

at Docket 17, which Plaintiff 20, this matt.er is hereby
may

STAYED

so that the parties

lrring this dispute before the appropriate State tribunal . The court shal1 retain jurisdiction
remain available to
may

pursuant to Puflman and will

review any constitutional issues that

exist

once

the State remedies have been exhausted, In order to
ensure that these serious StaLe law issues are resolved

prlor

to cert.ification

of the election,
GR

the
motion

Court hereby condilionally

ANTS

Plaintiff's

to enjoin certification of the eleccion. If an action is filed in State Court on or before Novenber
2010, the results of this election sha11 not raised therein been fuLly and finally resolwed. " jd
1ega1 issues
Additionally, allowing Mr. Obama to be certified would

22,
be

certified unLil the

have

violate

California

Election Code Section 1203, which states "Anyone who files or submits for

filing a nomination paper or declaration of candidacy that it or any part of it
has been made falsely is punishable by a fine not exceeding one thousand
Grinols et alv electoralcollege 2012, Presidentotthe Senate

etal

PetitionforSTAY

Z7

dollars ($1,000.00) or by imprisonment in the state for 16 months or two or

three years or by both line and imprisonment" and California Elections Code Section 18500 that states, "Any person who commits f raud and person who aids

or abets fraud or attempts to aid or abet fraud,

in

connection with any vote cast to be cast or attempted to be cast is guilty of
a felony, punishable by imprisonment for 16 months or two or years".

Since in his official School Registration #206 from Assisi School in Jakarta

lndonesia, Obama

is listed is

citizen

of

lndonesia, not U.S. citizen,

Delendants and this court might be subject

to a charge of treason by

allowing

a

foreign national, citizen

of

lndonesia, Barack Obama, aka

Barack (Barry ) Soetoro aka Barack Obama Soebarkah to usurp the U.S. presidency and the position of Commander in Chief by virtue ol fraud and
use of lorged lDs.

PRAYER FOR RELIEF

Wherefore Plaintiffs respectf ully pray for:

1. Declare Barack Hussein Obama, aka Barack (Barry) Soetoro, aka
Barack Obama Soebarkah ineligible/illegitimate for the position of the

U.S. President due to the fact that he is not a Natural Born U.S.
citizen and that his eligibility lor office claims are based on forged and
f

raudulently obtained identif ication papers.
Grinols et alv electoralcollege 2012, President of the Senate et

al Petition

forSTAY

2A

2. STAY ol Presentment of CERTIFICATE OF ASCERTAINMENT by
the Governor and the Secretary of State with votes for candidate
Obama pending resolution of the issue of his legitimacy for the U.S. Presidency in light of his lndonesian citizenship, due to the fact that

according

to his mother's passport

records his last name is

Soebarkah and he is seeking to become a U.S. President under a

name that specifically

is not legally his and due to his use of forged lDs,

a

forged birth certificate, forged Selective Service

Certificate and a fraudulently obtained Connecticut Social Security
number as proof of his identity.

2. STAY of vote by the ELECTORAL COLLEGE for candidate Obama
pending resolution of the issue of his legitimacy for the U.S. Presidency in

light of his lndonesian citizenship, due to the fact that according to his
mother's passport records his last name is Soebarkah and he is seeking to become a U.S. President under a name that is not legally his and due to his

use of forged lDs, specifically a forged birth certificate, forged Selective
Service Certificate and a fraudulently obtained Connecticut Social Security
number as proof ot his identity.

Grinolset alvelectoralcollege 2012, Presidentofthe Senateet al Petition

forSTAY

29

3. STAY OF PRESENTMENT OF THE CERTIFICATE OF ELECTORAL VOTE BY THE PRESIDENT OF THE SENATE for candidate Obama
pending resolution ol the issue of his legitimacy for the U.S. Presidency in

light of his lndonesian citizenship, due to the facl that according to his
mother's passpon records his last name is Soebarkah and he is seeking to become a U.S. President under a name that is not legally his and due to his

use of forged lDs, specilically a forged birth certificate, forged Selective
Service Certificate and a f raudulently obtained Connecticut Social Security
number as proof of his identity.

4. STAY OF VOTE BY THE U.S. CONGRESS for candidate

Obama

pending resolution of the issue of his legitimacy for the U.S. Presidency in

light of his Indonesian citizenship, due to the fact that according to his
mother's passport records his last name is Soebarkah and he is seeking to
become a U.S. President under a name that is not legally his and due to his

use of forged lDs, specifically a forged birth certificate, iorged Selective
Service Certificate and a lraudulently obtained Connecticut Social Security
number as proof of his identity.

5. Costs, attorney's fees and any other reliel courl finds just and proper.
Grinols et alv electoralcollege 2012, PresidentoftheSenateetal Petition

forSTAY

30

I

hereby certify that foregoing is true and correct to the best of my

knowledge and informed consent.
Respectf ully Submitted,

z -{r (art
/s/ Dr. Orly Taitz ESQ
Counsel for Plaintiffs

12.10.2012

Grinols et al v electoral college 2012, President of the Senate et

al Petltion for

STAY

31

EXHIBIT 1

''. i'
'|

:

t:
I

CERTIFICATE

OF NOMINATION

I, Oebla Bolvon, Secretary of State ot th6 State ol Californira, hsreby cerliry:

That acaording io the final olfcial retums oI lhe Prirnary Eledion h€ld on the 5th day of June, 2012, and the statement oI the .*ult lhereof on fle in my ofiice,

Edward. C. Noonqn
was nominalod a6 lhe America lndependent Party's c€ndidat€ for the oflic€ of

Presldent
lN WTNESS WHEREOF. I h€reonlo set my hand and affix lhe Great Seal of the Stst6 of CelifomiE, at Sacrarnento, fris 10h day ol Jtttf,2012.

il x
,l

\d

E*'r*)"^Debra Bowen Secretary ot Slate

{

:=..=--_-=,.j{

EXHIBIT 2

STATE OF ARIZONA

County of Maricopa

AFFIDA\TT
I, the undersigned, being first duiy srvorn, do hereby state under oath and under penatty of perjury that the followiag facts are true:

1. I am ovet the age of

18 and am a resident of Arizona The inionnaiion contained in this affidar'it is based upon rny ol'yn personal lool!'ledge and, if cailed as a witness, I could testit' @mpetently thereto' I am a former sworn law enforcement officer and cdminal investitator. Since 2oo7 I have been duly appointed by the elected Sheriff of lttaricopa Countr', Arizona, Joseph Arpaio, as the chief investigator of his Cold Case Posse.

2.

Under the Arizona Constitution and ArizoDa Revised Statutes, the Shedfl has the authoritl to request assistance from a volunteer posse ("the Cold Case Posse"), a speciai five member team of experienced in'estiSators located in the cou[tJ', to assist him in the execution of his duties. The individuallr-selected tean deputized by the Sheriff includes former police detectives and attorneys $'ho \^rork voluntarily and at virtually no el:pense to the taxpa,yer u'henever the Sheriffauthodz€s an investigation to add'ess aDy issue as the Sheriff deems appropriate. Arizona Tea Party called upon the Sheriff in his office and preseoted a petition organization signed by approximately 25o residents of Maricopa CouDty, requesting the Sheriffs Department to inr€stigate 1'!'hether a doclrment posted oD the official irebsite ofthe white House on 27 April 2011 and purpoting on its face to be an electronic image of the "long-form" or original Har'r'aiian bifth certificate ofPrcsident Barack Hlssein Obama $as Senuine

3. In August 2011, a Sroup ol citizens ftom the Surpise

4. If the image of the bidh certificate $'ere not genuine, the question might jurisdiction

o{ the arise u-hether Mr Obama had been born within the under Article il United states and thereby complied utth the requirement of the U.S. Constitution tltat the President be a "natural-bor[ citizen".

S. The petitioners expressed theil concern that, until that point' no la$' enforcement agency had e\,€r gode on record as indicating that it had i$'estigated or u'as willing to investigate whether President Obama was eligiblt to hold his office. The petitioners said that lack of resources and jurisdictional challenges had inhibited any such in\-estigation elsewhere.

6. Sheriff Arpaio

con,missioned the Cold Case Posse to undertake lhe investigation tequested b]' the petiticjners The principai focus of the inl'estigatio[ is the electronic document on the White House website tl-lat Preside.llt Obama had presented as the inage of his long-form birth

certificate to the American people and to citizens of Maricopa County at a White House press confereDce on April 27, zorr, u'hen he had said: "We provided additional information today atlout t}le site of my bifth. .., Yes, in fact, I was borq in Hav/aii, August 4, 1961, in ]Gpi'olani Hospital."

7.

For 17 ]€als {rom 1991 until the }.ear before the Presidential election of 2oo8, the annually revised biography written by Mr Obama and circulated by his litemry agents had contaiued tie uords "Barack Obama, the first African-American President of the Harvard Law Reuieru, was born in Kenya and raised in Indonesia and Halraii,"
The official PolftcmentarA Debates of the Kenyan National Assembly for 25 March 2o1o rccords tbat Mr Orengo, the Minister for l,ands, said: "If America ... did not see itself as a multiparB' state or nation, how could a young man borrl here iE Keuya, who is not even a natil€ Americarr, become tle President ofAmerica?" The investigation has closely examined the procedures for registlation of births at the Hawaii Department of Health and various statemelts made by ofticials of the Hawaii govemment o!€r the last fii'e J€ars in connection r.r'ith the authentici4' of Mr Obama's birth records. We have chronicled a series ofinconsistent and misleading representations that urious officials of tie government of Hawaii have made since 2oo7 or the question \^'hat original birth records, if any, are held by the Ha\,\aii Department of Health.

8.

9.

1o.In February 2or2,

I rcpofted to Sheriff Arpaio that there $?s probable cause to consider that the White House image of Mr Obama's birth certificate w'as a forgery, and specifically that it $'as not a true and accdrate photographic image of a genuine birth record, I advised tlle Sheriff that the forgers had probably committed two crimes: first, frauclulently creating a forgery tiat the White House had charactetized, knowingly or unknowingly, as ao officially-produced tovernmental birth record; and semndly, fraudu'lently presentint to the residents of Maricopa County and to the American public at large a forgery that the White House had represented as "proof positire" of President Obama's authentic 1961 Hawaiian long-form bidh cetificate,
conclusions were reinforced by input flom numerous exlerts iD the fie1ds of typeu.ritingJ q?esettlng, computer-geDerated documentation, forensic document analysis and Adobe computer programs, as rvell as comparisons with aumerous other tirth rccords and expert re!'iels of Harvaii state law and of the regulations, policies and procedures o{ the Hawaii Department of Health.

11- These

12.

The investigation further determined that the Hawaii Department of Health has engaged in what the Sheriffs investigators believe is a systematic effort to hide from ia$. eDforcement and the public $&ate\.et original 1961 birth records t}le Hawaii Department of Health may have in its possession. The Posse also accumulated evidence that tie Hawaii gorernment and its agencies had changed their policies and pracedures in a manner calculated to hinder our law-enforcement investigation.

13.

ln furtherance of the in'estigatioo, uhich has norv contiDued for more than a 1'ear, I have twic€ r'isited Ha&?ii within tbe last six montis. On the fiIst occasion, a Maricopa County Sheriffs Of6ce Detective and I presented our credentials to the ofnces of the Hawaii Department of Healti and requested to speak to Mr Alvin Onaka, the chief registrar of Lrirths, a simulacrum of $'hose signature-stamp had appeared on the electronic document on the White House website. We had hoped to ask Mr Onaka if he rrould verifi the authenticity of tie White House released document and to reri8 th€ legitimacy of the registrar's stamp bearinS his signature. Additionally we hoped to ask him to allol\, us, for laq'enforcemeDt .easons, to inspect the original document and, in due course, to subject it to forensic examination.
Ho$€\'er, r.hen r'r'e presented our credentials at the front desk of the Ha$aii Depaftment of Health, much to our amazemeDt we i{ere infortned that Mr Onaka does not speak to the public. we explained that \\e were there on official busincss. Ne1'ertheless, $e $€re not permitted access to x{r Onal€.

14.

15.

At our

insistence \\-e did hare an oppoftunir-v' to speak \'\,ith Depu!' Attornel' General ,Iill NagamiDe. During our meeting Ms. Nagamine reftised to veri$ the autheuticit' of the PDF file released b1- the White House. As a natter of {act Ms. Nagamine rvou}d not provide us r^'ith any confimlation that the document was created b1,the Harvaii Department of
Health.

16, Ms. Nagamine accused us

of trjing to get a \,elificatioq of a birth record $ithont legal authoriB to do so, eren though the docrmeDt has been offeled lbr public vielr'r'ia the World Wide Web. She constantiJ evaded aDs\,\-ering e\€n question about the legitimaq'of the document bl hiding

behind State statutes.
17.

we

also visited the Kapi'olani Hospital, which the document on the White House lvebsite identifies as the place o{ Mr Obarna's birth. We had discovered as a result of oru enquides that the hospital, at tlle rcler?nt time, had maintaiDed a separate record-keeping system b1.'r,r'hich all births at the hospilal \\€re recorded, This document is stored in the hospital archives. These archives are accessible to the public by hospital

permission. We asked to see the hospital's birth records for 1961 but were less than politely rcfused. At no time did Kapi'olani Hospital e,i'er confirm that Mr Obama was in fact born in the hospital. Nor did thet, confirm that they $€re in possession of his birth records,
18,

Having regard to the elaborate non-cooperation we received from the State of Ha\!aii, and upon close examination of the evidenoe, is my investigatioral opinion, shared by the Sherif, that forgery and fraud have been committed in key identig records, including President Obama's long-form birth ceftificate; his computerized short-form birth abstract; his Selective Service Registmtion card.

it

19. The Cold Case Posse has also noted

that Mr Obama's first L{ecutive Order, issued on his first full day as Presidentr uras to seal all of his oun past records fiom public scrutiny. Documentation that is not available for Mr Obama includes not only his odginal birth records but also his baptism records, his adoption records, his kindergarten records, his Punalou school records, his Occidental College records, his Columbia UnivelsiB records, his Columbia Univemity thesis, his Harr,-ard Lau. School records, his Hanard Lan' Revier-r' articles, his scholarly articles from the Unh€rsity of Chicago, his passports, his medical records, his files from his years as an Illinois State Senator, and his Illinois State Bar Association records.

20. The then Republican Governor, Linda Lingle, stated during an inten,ie\^ otr Nell YorK"s WABC radio il zoo8 that in an attempt to queU the Bith Cedificate issue she had the Birth Certificate inspected by the state's dircctor of health, Chiyome Fukino.
21.

Lingle is quoted "So I had ml health diredor, \!ho is a phpician by background, go personally viera' the birth certificate in the bifth records of tie Department of Hea.lti, and we issued a nervs release at that time saving that the president I'as, in fact, born at lGpi'olani Hospital in Honolulu, Ha\a.aii. And that's just a fact and yet people cotrtinue to call up and e-mail and want lo make it an issue and I think it's again a horrible distmction for the countr_v by those people u'ho continue this."
statement: "There have been uumerous requests for Sen. BaEck Hussein Obama's official binh ceftificate. State law (Harai'i Revised Statutes €338-18) prohibits the release of a certified birth certificate to persons rvho do not have a tan8ible interest in tie f.ital record. Therefore, I as Director of Health for the State of Hawai'i, along $ith the Regisbar of Vital Statistics, $'ho has statutory autho ty to oversee and maintain these tlpe of r'ital records, har,e personally seen and verified that the Hawai'i State Departmert of Healtl has Serl. Obama's original birth certificate oo record

22.On October 31, 2oo8, Dr. Chil,ome Fukino released the folio\\'ing

in accordance with state policies and procedures. No state offlcial, including Governor l,inda Lingle, has ever instructed that this vital record be handled in a manner different frorn any other Yital record in the possession ofthe State of Hawai'i."
23.Months later, in,Iuly zoo9, she added another comment: "1, Dr. Chilome Fukino, Director of the Hawaii State Departrnent of Health, hare seen the original r,ital records maintained on filebythe Hal'\aii State Department of Health veri!'ing Barack Hussein Obama was bom in Ha}aii and is a natural-bom American. I have nothing further to add to this statement or my original statement issued in October 2ooS over eight montln ago." Significantly, Fukino changes the wording from rieuing Sen. Obama's "original birth certificate" to having "seen the original rital records maintained on file by the Ha\,r'aii State Department of Health, r'erifling Barack Hussein Obama r,!as born in Hawaii and is a aatural-bom American".

24.The Golemor of Han'aii, Mr Neil Abercrombie, has said tlnt he rtas prcsent rvhen Mr. Obama \a?s born. laler, however, he letmcted that statement and aci<aorviedged that he did not see Obama's parents with their new born son at ary hospital, although he said he remembers seeing obama as a child n'ith his parents at social events. There is no evidence to suppod that claim. No doctor or nurse $'ho attended his birth has come fon ,iud to say so.
2s.Abercrcmbie told the Honoiulu Star Advertiser he lvas searching rvithin the Ha\{,aii Department of Healt}r to find definitive vital records that rvould prove Obama was born in Harvaii, because the continuing eligibilig' controvercy could hurt the prcsident's chances of re-election in 2otz.

26.Abercrombie said the bilth certificate issue uould hare "political implications" for ille presidential election ''that *-e sirrply cannot have. "
2T.Abercrombie did not report to the ner^Bpaper tiat he or the Haraii Department of Health had found Obama's long-form, hospital-generated birth certificate. The governor oDly suggested his investigations to date had identified an r.tnspecified listing or notation of Obama's birth drat someone had made in the state archives2S.Abercrombie did not say to the newspaper that he or the Ilauaii Department of Health had found Obama's long-form, hospital-generated birth certificate. Nor did he say to the neuspaper he had personalll,seen any birth record for Obama. Tbe governor onll' suggested his investigations to date had identified an tLnspecified listing or notation of Obama's birth that someooe had made in the state archives.

29.'lt was actually 1^'aitten, I arn told, this is what our iavestigation is showing, it actually exists in the archives, wdtten dois\" Abercrombie
said.

3o.Conceivably, the 1.et-undisclosed birth record in the state archives that Abercrcmbie said had been discov-ered may hal€ come from the glandparents registering Obama's birth, an eveot that lvould automatically have triggered both the newspaper birth aanouncements and availability of a Certification of Li\e Bifth, even if no long-form birth certificate existed.
31. Our iN'estigation has revealed

that in 196r, as Hawaiian 1a$, then stood, Obama's grandparents, Stanley and Madel,m Dunham, could lar.fully har'e made an in-person report of a Hawaiian birth even if the infant Baract ObamaJr. had been foreign-born.

32.The ne\4'spaper announcements of Mr Obama's birth do not pro\€ he was born in Hau'aii, since they could have been triggered by tie grandparcuts registering the bidh as Hawaiian. Thel might then have paid for the announcement themselves.
33. However, we hal€ learned that

it was not uncommon for local ner'r'spapers to publish birth announcement paid for by individuals reporting the birth in the local paper, e\€n if the child has bom elser,vhere. If so, the registration of an out-of-countr-v birtb as Hawaiian would have been reported in the same way as the registration of ar in-coutrt]' birth. Neither of the r**o advertisements states that Obama was born in a particular hospital. Both give lery limited information.

34.To date the puryorted undisclosed birth record in the state archives that Abercrombie has clairned to har.e discovered and has described as beiag "actually uritten" has never been nrade public. Being located in the state archives, this document should be available for inspection by the gereral public &ithout restraidt.
35.

Frcm Aber$ombie's admission, it is legitimate to infer that this record, if it indeed exists, $as not iD the possession of the Ha\^aii Department of Health, $.hich may have had no record of the in-country birth of Mr Obama either in hard copy form, such as lont form birth certificate, presen'ed in its l?ult as described b;- Dr. Chilome Fukino. If such a document had existed, Abererombie rvould have had it \^'itbin minutes of his lequest.

36.Mr Obama's long-form birth certificate $'ould have been preserved in a hard-covered bound volume along witb the other long form birth certificates of that period. 'l his record would have been easily accessible to the Depafimeni of H€alth upo! the Covernofs request, had it existed.
37.

Dr. Chiyome Fukino also gave an intervie$ to CNN otr Aprii 26, 2011, in uhich she stated that she simply werlt i[to the vault and inspeded Obama's original Birth Ceftificate. Iuferentially, it should have been that
easy for Governor Abercmmbie to locate it as well.

38.This circumstance also suggests that the birth record of Mr Obama was trot at that time recorded in ttle Department of Health's computerized database that has been in use since 2oo1.
39.1n March zorz, Sheriff Arpaio held a Press Conference durirg which he and I presented an outlire ofthose aspects of the inr€stigation tiat $ould not conpromise the safety of witnesses or the integrity and future couse of the investigation. At that time, we had concluded that there was probable cause that tbrgery and fraud had been committed in rcspect of four documents: the long-form or original birth certificate Jor Mr Obama, lr'hich contained multiple errors ald anonalies, many of them serious; the short-form computer-genel.ated abstract of Mr Obama's btth record that the Democratic Party had published in zoo7, u'hich was p nted using a form of words not cunent at the relevant date; the selective-senice document for Mr Obama, which contained a tlvo-digit year-stamp conhar, to specifications Mitten by the Department gf Defence to the effect that the y'ear of issue should be expressed as four digits on tie stamp, and contmrl to any other selective-seFice registmtion document that \^€ have been able to examine; and we are awEre that the social security number, rvhicb has a prefix tlrat at the date of issue was unique to connecticut even though Mr Obama has never rcsided in that State.

40.In an attempt to verify whether Mr Obama and his mother had arrir.ecl in the United States at or around the aileged date of his birth, \'\€ contacted the National Archives to obtain micrcfilms of the I-94 immigration landilg records for the I'ear 196r. All such records lvere and are arailabie for the entile year 1961, except for those on iie alleged date of Mr Obama's birth (August 4), three dals before that date, and thrce dat's after that date. The Archivist and his staff did not tell us how the missing records had come to b€ lost, and offered no hope tiat they rvould ever come to light.
41.

After three months of further investigation, the Sheliff held a second prcss conference to announce, with nly support, tiat it was no longer a question of probable cause: it uas no\{ certain that the document on the White

House website r.vas

a forgery. The Sheriff also

announced that the

investigation would continue: and it has continued ever since.

42.The purpose of holding press conferences was and is to noti!' the public that ao investigation is in progress, with the aim of obtaining additional information that might be helpful to the in€stigato$ in reaching the truth. As a result of both press conferences, additional material of this kind became arailable to us.

43.Our investigation concludes that P.esident Obama's long-form birth certificate is a computer-generated document; that it was manufactured

piecemeal and electronically; and tiat it did not originate as a cop,v of a true paper record from a bound volume, as claimed by the white House and by the Governor of Halreii and by the director of tle Ilealth Department, cited in a press release issued April 2Z 2orr, bythe Go1€mor to coincide r{ith the publication of the document on the White House
website.

44.

tie "registmr's stamp" iD the computer-generated document released by the white House and posted on the White House \'\'ebsite may have been imported from another unknour: source document. The fact that tie stamp cannot har€ beeu placed on the document pursuant to state and federal laws is one of many indications that the document is a forgery and, therefore, tiat it cannot be relied upon as verification, legal or othelwise, of the date, piace or circumstances of Mr
Most importantl!,
Obama's bifth.

45. The Registrar's date-stamp

exhibited a similar grave anomaly, allowing it to be moved about electronically u'ithin the document - which wou'ld have been impossible ifthe document r'\"re tfle scanned ard certified cop,v that ofhcial statements profess it to be. The Registrais signature-stamp and date-stamp vrer.e computer-generated inages tiat 1'r'ere imported into the docurnent. Thel' l$ere not electronic images of actual rubber-stamp imprints inked by hand or machine on to a papet documetrt, Accordingly, the document on the white House wetrsite is, at a minimum, misleading to the public in that it ha.s no legal import and cannot be relied upon as a legal document carrying the full faith and credit of the State of Ha$?ii and veriling tie date, place and other circumstances of Mr Obama's birth. A photograph ofthe Registmr's date-stamp is exhibited and marked "M22".

46.These and numerous other e$ors and anomalies obsened after extensive forensic scrutiny of the electrcnic irnage downloaded from the rt!'hite House \,vebsite were inconsistent $'ith features to be erpected h-hen a pape! document is placed on the glass plate of a scanner so that it can be captured as an electro-photographic image, or whel it is scanned and then

8

processd either to enharce the clariry- of the image b]' optical chalacter rccognitiou or to reduce file-size by file-compression or oPtimization,
47.

Furthering the investigation, I returned to Har ?ii for a second time. I met Mr Duncar Sunahal?, t}le brother of Virginia Sunahara, an infant born in Ha\ aii on August 4, 1961, the alleged date of Mr Obama's birth there. Ms Sunahara died the foilowing day, August 5, after breathing difiiculties. when I met Ml Sunahara he had recently applied to the Departmert of Health in Ha\a"ii for a copy of his deceased sister's bith certificate. He told me the Department had gone to $eat lengths to deny him a copy of the origiml long-form birth certificate that a close relative is entitled by law to request and the Department is obliged by lau' to supply. The Cold Case Posse is compelled to consider the question why this litde girl's 1961 long-form birth certificate \azs so disconcerting to the Hawaii Depatment of Health that it did not wish to issue a copy to Mr Sunalam upon request

48.I obtained from Mr Sunahara a copl' of proceedings in the Circuit Court of the First Circuit, State of Haw?ii, iB which the Depuq Attornel' General, Ms Nagamine, appeared before Judge Rhonda Nishimura on March 8, 2012, to argue that Mr Sunaham i\as Dot entided under Hau'aiian statute la\a'to see, still less obtain, a certified copy of his deceased sister's original 1961 lory-form birth certifi cate.
49. During the prcceedings, the Attorney General implied that Mr Sroahara's request arose flom an underb'iDg interest in obtaining evidencc that might

assist iD determiring whether the document on the White House website is indeed a forgery- Ms Nagamine said Mr Sunahara ought to be satisfied

with a short-form extmct of the birth record rather than a long-form printed image of the original copy in the bound volume for 196r in the
\,?ults ofthe Health Department.

so.Ms Nagamine also said that the entirc vohime of birth certificates inferentially coDtaining not only Ms Sunahara's lon6-form original birth certificate but also those of mins bom at about the same date had been rcmoved to a special, secure location rdth very iimited access. I do Dot know u'hat purpose the Depa.rtment of Health had in presening these
records at all, unless it rl'as to sho$, them upon request to family members and otherc such as law enforcement - $ith a legitimate and statutor"v interest in seeing the documents.

-

Er. Ms Nagamine said that accessing the original birth records nas difficuit al1d expensive. Holrcver, in Dr. Chiyome Fukino's intervieg'with CNN she stated ttrat she simpl]' \a€nt into the vault and inspected Obama's original Birth Ceftificate. I arn told by Mr Sunahara that he u'as tilling to pay any reasonable fee to coi-el the cost. Our inr-estigation indicates that the

9

Health Department's fee is not great attorneys for Obama had paid gro for a certified copy and g4 for a second certified cop}. Inferentiallr,. such small fees are an indication that the difficulty of consulting the aichires and genemting certified copies is not great. And I hare come across fufther evidence that the diiiculty of consulting the records is not very great: for they are normally kept in bound volumes on specially-designed streh,es loown to librarians as "stacks", A picture of Mr Onala pr ling out a book of birth records from 1972, just ni;e years after the year that is of interest to our investigation, sho$'s how small the difnculqv in consulting the records is likely to be. 'l'he pbotograph is marked ,'MZr,,, annexed and siSned as rclati\€ hereto.

52.The reason ufiy la.u.-enforcement investigators u,ish to examine the original long-form birth cetificate of I{s Sunahara relates to the practice of the Health Departmelt to number each birth certificate sequeatially u4th the last t\lo digits of the lear follo$ed by a five-digit number incremented sequentially by a date-stamp that advanc€d the counter by 1
after every stamping. At that time, approximately 48 births occurred even, day in Tlawaii. and were required to 6e registered. They \\.ere sequentjslly stamped in order ofdate ofbirth.

53,

Photostat images of the long-form original birth certificates of hr.in daughterc bom to Eleanor Nordyke at Kapi'olani Hospital August 5, 1961, one day after the alleg€d bifth of Mr Obama at the same hospital, har-e been dm\a'n to the Cold Case posse's attention. They had been p;blished in the Honolulu Advertiser, As a result of examiuing these images, the Cold Case Posse has reason to suspect that the sequential number on the computer-genented short-form abstract that the Health Department released to the family is lot the same as that rdich appears on ihe longform original birth certificate that was issued for Ms Sunahara. Examinatio[ of the birth ertificates issued to the parcnts of the Nordyke twins -show-s that their registration numbers,, 61/10637 ancl ro63g, preceded tlre number on Mr Obama's short-form and long-foim certificates, q'hich is sholra as 6Llto64t, e\€n though he was bom a day earlier than they r.rere. Ms Sunahara u"as born August 4, r96t, and het. certificate was stamped by the Hawaii registmr August 8, but her number was no8o. The table summadzes tfie position:
Name

54.

ofchild

Date and time

born

Registered Certificate #
Aug 8 Aug 10 Aug 11 Aug 11
10641. 1108O

Barack Obama Virginia Sunahara Susan Nordl'ke Gretchen Nordvte

AnZ 4 al T24 pm Aug 4 at 9:16 pm Aug 5 at 2:P pm Aug S at 2:17 pm

ro637
1o638

l0

SS.

Mr Obama's birdl cedificate was registered August 8, 1961. The Nordyke tlvins' birth certificate was registered August 11, 1961. Even if the
sequential nurnbedng had follor,"ed the date of redstration mther tJran the date of bidh, IVlr Obama's cedificate should have been automatically assigned a number lower, not higher, than the numbers allocated to the certificates of the Nordyke hvins. Ald the Dumber currently assigned to Ms Sunahara is entirely out of scquence.

56.One possible explanation for the out-of-sequence serial numbers might have been that several serialized piles of birth certificates n€re registered at different hospitais. Holr'rer'er, Ms Verna K. Lee, an ofiicial respolsible for the recording of bifths in Honolulu in 1961, $'hen inten iebed b)' a repoter for $ nd.com, said that this $?s not the case. Ms Lee rlas the local registrar u'ho apparently signed the documeni on the White House \^'ebsite {it is possible that the forgers lifted her sigr'lature from anotier bidh ceRificate and inserted it electronically into the computerized compilation that is nou'on the white House \ '€bsite).
57.

Ms, l€e irEs surpdsed that the numbels \,\ere out of sequence. Ms. Lee made recorded statements to a wND reporter during a phone intenierv. I have persolally listened to those record.ings. On the recorded conversation Ms. l,ee said that all of lhe birth certificates received in a month $er€ ordeled chl:nologically by date and time of birth and rumbered sequentially at the end of each month. The only exception - not relevant in the present case - 14as that binh certificates received from the islands and tiom one local out-station iir Oahuu€re grouped separately, so as not to under-represenl births outside Honolulu or unattended birlhs occuffing at home in the 50% statistical samples b1'u'hich only evetnumbered births w'erc reported to the Federal Gor€mment as mandated b1 r he U.S. oflir e of \ iral Statistics.
Ms Lee has said that birth ceftificates ftom the hospitals ir Oaht $.ete sent direcily to the centrzrl office of the Depa ment of llealth in Honolulu. The bi.th cedificates rvere all numbered at the end of each monih by one person. lvhen Ms Lee ras asked whether there might have been mistakes iil numbering Lhe birth certificates, she insisted that they were numbeted couectly and in sequence. The long-form o ginal certificates $ere inspected trvice for accuacy by t\i/o difierent clerks and then signed by the registrar. The]'\rere kept together secured in a certain room until they rere all numbered at the end of the mooth. They were not allowed to become out of order and they $'ere not numbered incorrectly. (lt should be noted that the Nord]*e t\4'ins werc born minutes apart and their respective certificate numbering uas based not only on date but on tinte as *ell. This indicates the clerk scrutinized the documents pr-iot to placing them in chronological order for proper numbering.) Based on Ms l€e's representation, I consider it highly unlikely that a birth certificate so far

SB.

l1

out of sequence as that \\,hich norv appears on Ms Sunahara's sholt-form birth abstract could have been accepted at a registrur's of{ice managed by Vema K l€e.

59.1t is also possible tlat i$,estigatorc are being misled into de!'otillg attentioD to the number on Ms Sunahara's odginal long-fom bidh certificate, which may after all turn out to be different from that of Mr Obama and identical to that which appearc on her short-fom comput€r
abstract. For that reason among otheE, inl€stigators would like to inspect and, in due course, forensicaily to examine the lolumes of long'form certificates for' 1961, and specifically the long-form original birth ceftificates for Mr Obama, for Ms Sunahara, and for the Nord)&e t$'ids. 60.A possibility that the investigators are constrained to bear in mind, given the lumercus other defects iE the document on tie White House website, is that the number on that document is Dot a genuine registation number assigned to his birth certificate in 1961, but $as issued M'hen tie shortfonn document uas generated dur:ing the 2oo8 presidential campaign. lt is possible that the Health Department does not rlant the public to see the original 196l birth r€cords because forensic examination might establisit that the forgerc had made a mistake in assigning to the forged long-form document on the White House v-ebsite a number that \r'as out of sequence and that may (or mal' not) be identical with the number on the long-form original bidb certificate of Ms Sunahara. This is one reason $'hy the in!€stigatom have asked to see the original bound lolumes from the
staclG.

6r. I am additionalll concerned tlat tfie Ha$aii Department of Health has not offered any testimotry that the modern computedzed data now used to genemte the short-form abstracts have been sa{eguarded from nurnerical or other data manipulation, Ail that the Attomey General of Hawaii offered to the Maricopa Counq Sheriffs Office as proof that Mr Obama was born in l{awaii uas a computer-generated list of birth rcgistutions that was contained in a ring-binder. Pages could easily be removed, added, or removed, altered and reinserted at .l .ill. There rvas no ler'rl of security other than closing the rings ofthe binder holding the pages together,
62.The investigato$ have obtained an affidarit from an individual $'ho went to the Department of Health h'hen some of the first questions r!€re b€ing raised about Mr Obama's birth certificate. That individual states that lr'heu he first went to the main office of the Halvaii Department of Health in Ilonolulu, Mr Obama's name did not appear in the computerized registmtion list irt the ring binder, but u,hel he went back approximatel] 14 days later to re-examine tie same list he \1,as surprised to see that Mr Obaura's name now appeaed on it.

t2

63.

Notwithstanding this afiidar,it, it is plausible that an original birth record for Mr Obama exists in Harvaii. Our investigation has discovered that at ttrat time Haraiian law contained a specific provision that permitted a Hawaiian parelt of a child born anlwhere in the wrcrld or any adult purporting to represent that parent, the fight to register the child as Hanaiian-born. It is for this reason that two e ries in the "Btths" coiumn of the local ne\{spape$ at the time do not constitute evidence that Mr Obama lvas born in Ha$'aii. 'l'hey are merely evidence suggesting that a birth certificate was issued for him in Harr.aii, and they tell us nothing about whether or not he wa$ born there. In particular they do not - as the White House document purports to do identii/ the hospital of birth.

64.If Mr Obama had not in fact been bortr in l-Iawaii, the long-form original birth certificate rould not have stated that he had been born in a palticular hospital at a particular time, and would not have borne the
signatures of the attending physician and registrar. The ner,\spaper entries lr.ould have been identical whether he had been born in Hawaii or elservhele iu the world; but the birth records rvould not have been identical65. The existence of

this law permitting out-of-counhl births to be registered Haraiian births is a further reason why the Sherifi u'ishes his forensic investgators to be gi\€n access to the original bound volumes of birth certificates for 196r, and to be pemitted to carry out forensic scrutiny o{ the volumes and of certain individual certificates, including that of Mr Obama.
as though they were

66.For these reasons, it is necessalv fol tie inl'estigators to bear in mind the possibility that the intention of the Ha\aaii Department of Health in refusing to allou' Mr Sunahan to have a certified copy of the originai bifih certificate ofhis deceased sister is to conceal forgery and fraud tithin the Depadment itself.
67.

The Cold Case Posse's lalv-enforcement inl'estigation into Mr Obama's birth certificate continueq taking account of the additional information obtained both as a result ofthe Cold Case Posse's own enquiries and as a result oI assistance from the public following the publication of some of or.rr results by the Sheriff at the March and July:orz press conferences.

68.The law-enforcement inestigatioo by and on behalf o{ t}re Sheriff of Maricopa County, Arizona, nould be greatly assisted, and could be brought swi{lly, inexpensivd, and decisively to an end, ifthe Departhent of Health and the matragement of the Kapi'olani Hospital n€re willing to
allo$' court-recognized forensic experts selected by the Shedff of Maricopa Counqy to inspect aIId forensically examine the volumes of long-form

l3

origind birth certificates for 196r and the birth records kept by the Kapiolaui Hospital for that yea!. It should be noted tbat forensic erperts are tEined il1 the malagement a.nd presewation of paper records, and would cause lo damage to the records iB the course of their forensic
examination.

Executed

ltris

day of

2012,

irl Maricopa County, Arizona.

Swom to and subscribed before me this

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JAME$ C JACKSON

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This is the photograph of Mr onaka wilhdEwirrg a bound volune of long'fofln original birh cenificales in Sndhata lor 1972 riom the shcks at dre Depanment of ll€altb in Hasaii- rcfcned to in my '. ^tfida\it ,Il.n'dr: The sourc€ ofthe photograph is an irteNiew ol Rasa Foumier with M. Onaka, enlilled (?.rird the Reco t Straight, published at midweek.com. Novenbe. I 6. 20 I L

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This is dle image, refered to tu my atidavit in Smar'la r ti.,an. ofthc "long-foln birth certificate' for tvlr Obama, witl the regismls signarure-stanrp and, separately. rh€ legislmr's dal€-stamp mov.d &om lheir o.iginal locaiions on the 'te.tificale", l+hich are indicaled by whire ghost imag€s towards the foot of tlte green recurity pap€r on io which the fabricared documenr had bccn elec!rcnically superimpos€d. That the rcgist.ar's date stamp and tie r€gist ar's tcxthignatu.e stamp were both d€ated by links to extemal objeds imponed inlo the Obama bi.ih cedifica(e ias aho confinned by tuming on the "Links' oplion in the "Window" m€nu in ldobe llluslator.lhe ins€l inage at top right is $e ljsl ofiinks that appears when that oprion is activated. Evidence thar the rwo reg;stmr sramps ar€ cxrcmal obi€cls imported inlo tle Obama ''binh documcnr" can b. se€n in rhat d!€ rcgisrar's date stamp and text^ignatur€ stamp can easiiy and sepamiely be electronically uoved. rorated a! *ill. turned sideways or even upsjde-down. and repositioned anywhere on rh€ document. None ofseveral hundred software suiGs designed for the automaled opticalchancter.ecognition. i'nage cnhanc€ment. file compression. or optimization olan electro-photographic im.g€ of& o.iginal paper docum.nr that $erc studicd ed tesred by expen consuliants to the invertigarive tead lts capable ol proccssing rhe electmnic data reprcsenting the image b such a maMer as to slore the data representing either of the two stamps on a single "lay€f' so as lo allow lhe sramps to be moved about

arwill.

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Date

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16

TItEREPostroRYrM
R[SELI-ER5OI:
YNDE FOBMAI SCANNEFTS

ARcttrvE INDEX SYsrEMs, INC.
P.O.60xrtrll:t
€:LLEVUE. WASHINGTON 93015

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ww.a.chiveindex com

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F.r resoonse lo thls lettei

i42s) 643 1131t F Ax l24A) 38a 7297

May 10, 2()11

Affidavit
l, I)ouglas B. Vogt. anl oYer I 8 year s old, do not suller 6 om alry mcntal impairnrent, have personal knowledge in the lollowjng and atlest undcr penally ofperjury that I have knowledge and expertise in documents, inraging, scarurers ard docunlent imaging progl?ms. Based on my kr]owledge and expcrtise the 1bllowjng is 1r'ue arld conect

I have a unique backgrouud lor analyzing this doclrmenr. I o*,ned a l)?eseti;ng company tbr 11 years so I know typ€ and ionrr design vcry well. I cunently own Archive index Systems since 1993, which sells all types of docunlerL scanDers worldivide and also devcloped document imaging soliwarc (IheRepository). i know how the scanners work. I have also soid other document irnaging
progra[rs, such as Laser Fiche, Libe.!y ard Alchemy. I have sold and insialied document imaging syslems ir1 cily and courlty govertunents! so I k[ow their plocedures with ir]1aging systelns and cver)1hing aboui the design ol sucb pmgranrs. Tlris will be impodant in undcrstanding \,"hai has happened $jrh Obama's Ceflificate ol LiYe Birlh.

Flgurc 1 Tiii image ol lhe Obama s Ceiliiicale ot Live Blrih daled Algust 8, 1961, presented on TV 4/2712011

Figure 2. A6o1he. Persons microiilmed Cediiicaie oJ Live Birth daled Augusl I1, 1961

Whol I Dircovered obout OboroS Certificdte of Live Bidh dnd whv rt ito Forqery'

What the Obama administraiion released is a PDF inage that they a]e trying to Fass ofi as a Certificate l-ivc Bilth Long F'olnl plinted on green security paper by the County llealth Depanmentlh( lo|r' i. d crc"tea lorS, ry lor lhe fol'o$ing easons

Curved and no -curvcd type. lhe irlage rve are looking at *as scanncd in grayscalc and some pal1 in binar] which cannot be on the sarDe inrage. The reason I knolv this is becausc of ihe shadorving along the guucr (left+and sidc). It also nearrs that the count],eFployees who did tire oiginal scanning of all thc lbnrls. did not take the individual pages out oI-die posi birdets. The result is that alL the pages in that book display a pzrailax distorted image ol the lines alld t}.pe. They cu&c and drop down to thc lei1. ii you look at Iirre 2 (Figure 3) on lhe fbmr that sals .9e1- you will notice the lcttcrs drop do\{r one pixel but the typed word i,ldle does not. AIso notice the line just bclo'w rtLrle drops down 3 pixcjs.

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|igurc 3. t-inc 2 oilhc fbrnl. Baseljne dilferenccs.
The second incident ofthis parallax prnblcm is scen in line 6c Nonc of HosPilal at lllslitttliotl (figure 4)- 'Ih€ wotd drops do\an 2 pixels, but ihe typed hospitai name, Kupidani, does not again drop down a1 all. And ^irrn, ihe linc Just below drops dorvn 2 pixels, but nol lhc name Lali.)Lrri

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m-Tirmc of Horpltd

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Line 6c ai 5007o. fhe

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pewriier name of the hospital does not drop down 2 p ixels

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The conclusion you musi come {o is thal the lyped in forn was superimposed over txisling original Ccnificate of l-ive Birth form liorn the county. In facl, silce I lound some ol the form hcaclings scanncd in as binary and gralscaie. $e fonn ilself is a conposite but &e person who creareJit clid not flaltened the inage of the blatk lotm and save it as one file belore they started piacing the typewilel text on the composile form. lhe individuaL(s) who Perpellaled fiis forgery could not evidcnlly find a blank tbrm h ihe clcrks iinaging database, so they were lorccd to clcan up exisling foms and overiay lhe typewriler type we see herc' The folger was also iooking for ce(ifi;es with the concct slattped dates and thal is why I lhink thcy used note than ol]e odginal foml- At fi$1 I \.vondcled why the forger didn'l just lypesei thc enlire lorm lrom scratch and overlay the type and no1 have to wotay about lhe parallax problem Then I rcmeffbered thal i!] tlle early

in hot nretal tiom a iirlol)pc nrachinc. Ihc tlpe tlesign is linrcs Rorran but they cou/d nercr repljlalc Lhe exac! dcsign.-ihcy \\,crc srrck having to use existing forns thal lvere scar)r)cd ;n usirrg binary and gtayscalc.
2.'l'here is a rvhite haloing around all thl' tl'pe on the form. Figure 5 is an examplc ofthis. lhis eflect should nol appear on a scanncd grayscal., ilnagc. Figurc 6 is a graysc^lc iillagc scanncd in a1 240 dpi. Yor \uill |otice tbat thcrc is qo haloing cllect arorilrd thc lyne and also the sccurity patlenr is seen lhroudr the typc. Figure 7 is a color itlage \r4tcre you can clearly see the secu ty green color lhrough lhe type ancl no haloing. Figurc 8 shows a Black and 'i/hile (binary) image ofrhc samc typc. lhc i]nfor1anl thing to renlelnbcr is that yotr can ol ha\'e gralscale and binarv on lhe sane scan Lrnlcss 1he image is n conlpositc. llul nleuns that dill-crent colnponents ofthc \\,bolc imagc are nrrdc uo of srrl:rllcr par(s. Figurc 9 is tLn erlargcd version ol Figurc 6 sho*iDg what grayscale letlcrs
shoukl look like conrpaled to birrary.

1960s there \ves no photo0,pcselling and this ibrm was set

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SECURITY PACII
ir" E1 Ventura & S€pulvel 15165 Venlura Bc! Sherman Oirfts. Ca
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Figur'e 9. r\,r: cnhrgerj .r0rcion ofFigure 6 shorving gra)'scale t,vpe.

-;. t i!.: Oi).ima acr iilicaig is ir,n.lcd iliiir bo{h binlry :l d grayscale icttcr. \ti,;.L is.iuii nrioli,er snroking gur that lhis ibrm is a lcrrgcry. l( appears thc lincs and sone of thc boxcs \!crc scanncd Lrsirg grar';calc, brl url)' sofie ol1ir. lorni hcadirgs *cle grayscule urrd sonreljn1cs il is olly sornc lcllcrs- figure l0 and figure 4 gi\c one cxanlple. You \\ill roiicc that tire 1/and. .r/, in Hosp;141, lirr Institulion. /11-and again the /, and 1Jn hospital werc gra)scale images, but lhe rcsr ofthe linc is birury ]'hc lypewrilor line belolv \a'as scanncd nr as !l binarl inr0gc. I can.rlso tell yotr lor certainty that the lbnn ryFc \\'as scann€d in al a lowcr'rcsolulion (:200 dpi). lhisisbccauseofrhcsizeofthc pixlls on the lcttcrs !\'ere such ll)at rhe opcnings on rhc.r arrd r on the l_irst linc a.c not visiDic and
tl

lled in.

rlenl
lrigure

fiAFiiE-or
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tn-tion fif ;ot-In Eofftrnl-t l{aternity & ftmeco
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showing tl Drixlurc ofgrayscalc and binary

thc sdme lir)c.

Anothcl example is lorurd in frtrm box la. his nanre B,IRll(l^ For sonre reason the "R" is a gia)scalc iurage ard thc resr is hirrary (Irigutc I l). l hal nrearls the 'R" \\'as originally on lhc 1o!tl and thc rest \vas nol Lnrtilit was added.

I igure I i. Aaother eranrple ol gralscaic a d binar),olt the santc lille.

;\nolher cxample is lhe Ce iiicale Dunrber ilscll (Figure I2). Thc last "l'- on lhc lomr is a oi thc rrnnbcrs irre nor. 'l his is.iusl rnolher cxamplc ol it cut and past Ihel{i arc .lob. ItaL:ionrcanswc(lonotkuowwhatthereaiCcr'lilicatenunlberisifthereevc.isone. oiher tbrln boxes tbat display tltc samc Jtaturc. boxcs: 5b, 7c, I l, lll- 16. l8lr.
gl'al'scalc inragc hut lhc resi

AFTIAENT OF HEALT
Irigure 12. lhe
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6t to6*fl
lasl'l 'is
gm)'scalo- but thc rest are binary.
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The Sequrntial Nunber is a fraud. I n'ould ]ike you ro lcfcr back to l'igLrrcs I and 2. You will Dotice that Barack Obanra was slrpposed lo havc becn bor-n on Friday at 7j24 p.nr. August 4, l96l

it on lircsday Augusl 8, 196l and hal)d slanrped Lhe Celljficatc "61 10641." Ih.n nolics that thc otiler Ccrriiicale of Susan E. Nordyke sas borlr on number Saturday nt 2:12 p.n1. AugUSl 5, 196l and anothcr rcgistr'ar dale slamped it on August t I, but her ('erlificate nurnber is "6l 10617 " Keep in nrind drere $,ould bc only o c batcs slamp Ndchjnc in the
and the local regislrar acceplcd

olficc so ll1c nlrmbcrs \louid all b€ Lrrique. I here canDol bc any duplicales so cvery Ce ificale hds a unique .ellnl nunher. OhaDa s Ceflific tc would have rnost likely beel nrailcd on thc follo*ing \\as rnailed sonretimc carlier that rveek unrl nor Jcc(flc(i unlil the I llr'hut shc hils a (lerlilicalc 4 nunrbc$ lcss than Obanra s- It is inrpossrblc to ha\,e Obrnra's Cer1ificrle numbcr to be ibur rumbcrs higber rha a Certilisate rhat can)c in 3 davs laler. l'he lacts I havc shown 1'ou in #3 al1J ii lcll nrc sclelirl li)irgs aboLrl hou'Ibis fbrgery u'as asscnblcd. l. Sorrc person(s) jn the Hcallh Depa(mcn!, who had access 1o Lhe docun)ent irr)3tsing program, search the database lbr' someonc close 10 lhe actual binh date ol Obama and foLrrrd someone near the 4rr' ol- August. They nra) ha\,c crossed refercnced thc dcalh daldbase 1o find someore \!ho had died and had a bifth dale close to Obanra's. If you renlen1ber, lhe Federal Covernnren! u,anted lhe Stales lo cross relerencc the biflh and dcath dalabascs so thc database would hu\.e iliai irformation.2. ihedalc stamps have lwo difi'erent colors and sizes (see #5 belos) which indicates thal bolh dalcs came lionr differenl Cerlilicatcs. f. More Ihan onc pcrcon is involvcd in thc llawaii Departnlent of l-lealth 10 assemble lhe clilfercnt componcnts that were used, do thc dalabase searches 1() llnd the right Cerlilicalcs 10 crcallr Presidcnl Obaura-s liaudulent Ceiilicale of l,jve Bi|th ancl firTalty sign thc haudulcDt certiilcale I bclieve that alicr all the con)poneols rverc

\1,,,.J.'i.il(:".r'r! r.rri,r.i

1i,JiiLiLl.(,dr)rlrclr'.SLr\d,)i',,,"11.c.C.,ti'i;attlo"Lslikcii

xssenbled they \lcrc thcn givcn lo a graphic ar'tist to aclually assenrbie lhe wlole rhllg and creare thc iinishcd li)rgcry. In short rhjs wls a conspilacy to dctiaud rhe Ljnilcd Slatcs.

lha1tIreli\r8ll\asrvor.Lingirrcolor.nxxlc'@+. f o+Ee{-tf iln-+he-.*{d}q}*r,e+il++t+Fltil+k-is--H$f j*eB@ bee" t rted bl rl1t{€i jt+,€tHeee5:a}rd
tur

T\io (lifirrent colors and {ont sizes in Forlh box 22 and 20 D te,4cccptcl hj Rcg. Ce ctut. what is'ery rcrcaling aboul rhi:i box ilnd date cDtry is therc rc l.no differcnt colors on both lines. Bolh lincs \!cre scaoncd using binary m,,rJe. trLrr I rec trro drltcrcrrr cL,lrrrs lFrgurc li). What I think rlis is shortirg us is lhat thc person who pLrL this iraud logethcr was looking ao'a fum.r that had tlrc right datc nanrcl) "August 8 i9 l." As ),ou can see thc only (hings ftar arc prinled in dark green (l{-.71. (i=92, B=7:l) ar! "Dare A'arrd "AL'C -8 6 "fhe rest ofti.tc type is in black. lIisrcilsnre
5.
si-€fl

tlreloft1-:it-t€'i+i+iifle.

r! Ihat nrarr]rufe*lceriJe?q1"?a11fElre{l+1Mi'effrlinrpr-

29,.
iri{urc
i

I

TNo diliercnl colors. darl grecn and black.

The same lhlng is lbLrnd in form bo\ 20 "I)ate Accepled by Local Reg." FigLr|e 14 again shou,s rhal lhc drtc has 1wo ditlcrcn{ colors. I bc 'AtJ(; -tt I96 - is irr da,l{ grcen (R-.{t7, (;-l I i. I}=87) and llrc' l ' ir in blnck Yct a!ir!ir) another irrclirrabtc prool rh;sli nis a tbrgcrJ. t,olm box I7a clisplays thc sanrc l1vo color inrage in thc rvori "None'-. thc "Non" is in ciark grcen.

lO, Ilrte Acccptcd by t+d
I

Hcg,

l:igulc I4. Ar;othcr cramplc ol t\!o colors on ilrc sanrc linc
6. Muitiple lsycr-s ilr the Pl)F filo tr,]m the White ltous€. I am no! thc fitst one to flnd this fact an(l they deseNe thc c|cdit 1o| discovering it. What they discovcrcd is lhat whcn you of'en up thc Pt)li liic in Adobc Iilustralor.rnd you luirr on lay.fs. you see a long list ol nine diliercnt tayers that conespo d 1() diflL'reDr sccrn)ns l)1 rhc tb'nr, includine rhc signalurcs on thc fbnn. ldiscovered using iusl ln)' Adobe Acrobxt 8 Siandarci thal I could also sco thc diJfercr)t componcnls disall)car lvhen I cnlargcd lhc inlagc 11).iusl 40{)o1o and uscd Ihe "hand" k)ol to quicl:ly movc around *rFimali. Whtn I nrovcd thc irnngc l'asl, lhe !:rrious lypc (o rponL' rs \\ould Llisapncrr firrn rhe llmr but thc lines sril}ed.jusl as I had concludcd.
A Rebutloltoine Di,<overy ofth€ Multi LoyeB Found n the PDF F&.

'rhc only rcbutlal 10 lhc Dinc laycN discovcrcd in lhc PBF filc relcuscd by the White,li(nrse u'as a Ll-tfl.rfl,1 ,ioI).r r'rn.r,lir' g',rpl-ir rrri.rs frorr. QL,cr'cr bllhr namc,'iJcaa4ldtidc lre,nblal orr April 29. lt ryas rcporlcd b1, l:ox N$vs an on thcir web site ati

LIc trics b cxcuse ihc lnulli-laycrs as mcrcly an afiilact ol an OCR (Optical Chal?ctel Iiecognition) enginc and lL1en sarcd ds a PDF. lhere arc 1wo ntajor reason Le is wrorg and I know flonr his statenrent he kllows DolbinB about OCR engines and how thcy work aid thcir c shucture. Fircl oI ali lhc Oiranla l'l)l: cedilicate was supposed lo havc corte dllectly trc111 the Healiil Deparlnents otlicc. As stated belir!, llie records they havc \\,ould have absolutely no reason to be OCRcd ard il they were :rskecl to give the customei a PDf inragc ir would be lrom fieir cxisting 'flFF irlage stored in Lheir docuncnt imaging plogl-anl on the serlrer. The program wor.rld havc done no OCR processing at lhat t!nleN4y qualillcalions on OCR p.ogralns are considerable. Our own document imagrng pruglanl, 'fheRel)ository, has an OCR option Aom Expervision thal is celled lypcRcader. Wc i le$ated 'l'ypcReadcr into our program but ro do this we bad Io sign a non-d;sclosure statcnrent wilh lheln aDd thcn we goi lhcir Took Kit arrd APL When an OCR program saves a filc as a scarchablc PDl., the llle-corlains three lnain tilcs rvithin it. fhe first file is an image file, Lrsually a conrpressed Group4 'lll.F. Thc sccond filc is a ASCII lext file aud the last filc is a malir file thet contains the X and Y coordinates ol all lhc $,o|ds in the docunreDt. lhe Stalting pojnt 1br rhe image llle and the lnallix t'ilc is usually lhe upper righi left l1and comcr of rhe imagc tlteasured in pixels. 'l he tesl llle and m^trix llles worLlct ne\/er be scen as separate iryers and thctc is cettainly no oine laye6. The threc liles would bc in a PD|'wrapper'- ard that's all. All OCR plog|ams r-vo|k on the same prjnciple.
Thc Celrificate o1'Live Bitlh Obanra ptesentod on television on Aril 27, 201 1 is a forgery.

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, a Norary Public of Kins County and thc State rl1' ce(ify that Douglos B. VogL pcrsonally kno$'n 1lr me 1() be thc alliari in the loregoiDg alfidavil, personally appeared before ffe lhis day and having becn by nre duly s\iorn deposcs a d say that dle lact3 sei ibrth in lbc above affidavit a|e truc {rnd cLlirecl.
Washinglon afbresaid, hereby

r. -.4CXM.i 5-,-D!ad€a.ia6t

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$'itncss mv hanrl and c'i'ficial seal this the

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My connission Expiru'

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Douglas

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ll. Vogt

EXHIBIT 3

Presentation & Report by Paul lrey - Typography ancl Type Face Expert. Copy Courtesy of: protectourliberty.org

?-

I

The American TS4leurriten
How a Young Computer Graphics Person Could Not Understand How to Use a Computer to tr'orge a Typewritten Document.
It s been some 50 years since we have used tJrpewdters to produce docrments. Computers have re placed the tJrpewdter slld €liven us gtes"t advaJ]ta€es in document prepsration. There is no need to underst€rd the old tjrpew?iter. Except when you need to lorge a tJapewritten docmoni. A computer in the haDds of a youJulll€rson who ca,D crea,t a modern forgery rs no match for the old
style quiikf mechanica,l tj|rEvudter. The forger who produced the Obaroa Hawajja,n Lon€| Iorm Hea,ltir

Depari rent Birth Ceriilicate may have tho!€ht that all tJrpesvriter tJ/peface styles wer€ alike. To get his letters he should have asstumed tirat he neoded only to m€,tch tjrllewrilten lett€rs lomd in the old illes of Hawaii brlth certiflcat€s to scai] ... copy a,r1d paste into his new docunent. Those o1d
should be a.11 a,iike haurlg been used to produce t'irth certilicat€s in i,h6 1 96 I era.
fi les

that he needed to copy the old iype\,'dter styles a.[d would lind them in the files_ But underst€,nding scanners -.- he also had to krow that scanjring a letter "t" one time aind using it a.ll over his docu'metlt wou.Id be co]al/iction assured. Because sca.n lines enga€le a lett€r differenuy every tille it's done. go he scanned a bunch of old bdrth cerEncates and used a diflerent "t" each time. The mistake was that ma.Dy of the letters iD the old fi1es were from differelt typewTiter styles aDd that's something he did Dotrealize.-. resulti[g in maE-y type\,rfitten letters on his forgery that did not match each other'. I hope this helps to exptain what might have happened with thjs documeDt. Paul Ir€y
He must have und€rstood

Pr$€nlation & Report by Peul lrey - lypography and Type Face Expert. Copy Courtesy ol: Protocoutl-lberly.org

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CERTIFICAIt OF LIVE IIRTH it.:i,..,
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presentalion & Report by Paul lrey . Typography and Type Face Expert. copy coudesy of: ProtectourLiberty.org

BARACK HUSSETi{ 084+{4, 11 MaleAu gu s L /+ il9 b'.t 7 2 (+?

Kapio J-ani Mpternity & Q:pT eco).ogical $opolrr Iu O atru llonol ul-u ; H Swaii 608 5 Kalarri an aol,e I-{i ghryal' FABAQ]S HISSPIN qBAMA AfYic-t"in 2 | t(epyqr Eas t, {{yiqa $!.u dent U4i,veg STIIILEI ANN DUNHAM Cauca.eian 16Wiqhitar$4nqqs Nqng

Ironolulu 0aitr:

IIosplta1

q

ily

Every typewriter typed character is assigned a number in the order it is found in the document.

P.esentation & Report by Paul liey - Typog6phy and Typg Face Expe.t Copy Court ay of: Protectourlibetty.org

The nro capital l€(€rs "A"s are

liom the $ord
the

"BiL,\CK"

on the

Fronr Section

E

birth certilicale found at section 8

of

is only one lelter why then is #144 betNeeo them. sigrlilicantly bigger than #146 ifthe same lype-\r'riler kcy struck bo$.?

lbflL lhere

BARACK
143 144 145't46 147 148
Nolice the olher di tlerences scen in rhe same Nord from differenr loca.

144

146
cedficate. AII the letten look differenr. Why?
tions on the birth

The t\\o capital letters
same

"R"

are from the

$ord "BAllA(lK" as abo\'e and the o$er Nord'BA laACK" in section I ofthe lbnn. Why then is #3 significantly shoner and N ider than #145 if the same typeNriter key slruck bolh? Note also the enclosed area in #145 is smaller than the enclosed area in #3 even though #145 is taller.

RBsffir
Irrom Section 6c

fte
the and

two lower case letten " s" from

word'Ilo\pilal"

in s€clion 6c

"tlniversity" in section l2b are sho$,n to be difrsent because ofrhe
width ofrhe lcttels. TIle lower case

*s"#88 is wider than the loiver
case

"s"

ir

#194

as

sbown with the

grccn and purple color bars shorrr ilnder tbe lettcrs.

196 197 198 199 20
"2"
are

Thc nr.o

n

mbers

liom

Fronr Section 5b

"7:24" in scction 5b ard scction l0 oIfte fofm. why then is t40 significa0tly Nider thm #168? Norice also fie dilllrence in height ol #168. Can you imagine
ho$' these nvo lypeNritten lel(ers

7t2lr 39
Frorl
41 Section I0

40

\rcrc typed \,ith ihe some
typewriter?

Page

1

of 3

168 169

25

-

P.es€ntation & Repon by Paul lrey - lypography and Type Face Exped Copy Court$y of: Protectourlibsrty.org

Fronr Section 2
Th€ lwo loNer case lettcrs

"s"

Aom the \!ord

"lhle"

fourd in

section 2 aad the Nord

"Kipiola "

lbund in section 6c. Notice drat the

firsl (e" #23 is not

22 23 24 25
From Section (,c

e

as rvid€ as #56.

Also nole the ditrcrences of lhe
shape of the enclos€d areas and the

sedfs at the top left ofboih.

The

$o

lo\\,er case

the r,ord and

*UDirersiq " in section

le$e "i"

from

l:b

a

"KopiolaDi" ir scction 6c ale shorvn to be different becausc ofthe
dots over thc letters. The dot in #199

196 197 198 199 20
Fronr Seclion 6c

Kapio 55 ersls6

Jsz sa sg
I

I-

ronr Section l2b

is higher that of #5a and shows more
spacc ov€r the

lett€r. Also note the

color ban indicating the diference
in width bet*eei the l€tters.

fsz se s9 60
Fronr Section

DioIa
61

Thc l\\o capilal lerters

"S"

are fronr

"HtrsSf,IN"

rn section

8

nd

"SlANLf,Y" fonn. Why rh!'n is fl5r significanlly more narfow than #2011 Nolice also lhe serifdilGrences indicated

in scclioD l3 ofdre

149 150 151 152 153 154
[:ronr Section l3

\ilh

the al]oNs sho\\'ing

that the s€rifon

#l5l

is placed

firther back to tho lefton the "S" tha as sho\\! on #201
Thc two lowcl casc

-.--"+r

ST
-!

201 202 203 204205 206

E

'n"

lellcrs

are different in siz-e. #62 found

T.l
t
J
=* r-

- closc uD ora type*rirer
Key flopped for clarity

in section 6c is much shoner than

#193 found in section l2b. This
is a goodplace to inse.t a photo

ofa typewriter key to remind us
lhat th€ impression is struck by
an engmved letter that is steel atrd incapablc of changing sizc.

n
62
PaEe

193

2al

3

]oranlUniver
^-f ^---a
58 59 60 61 62 63
Frorn Section l2b

lrotn Seclton ()c

192 193194195 196197

EXHIBIT 4

AFFIDAWT

h tne Sl"le cI K€nrlcky,

Couniy ol Warren, lhis atiianl b€ing duly swom, d€pos€s and says rhal he b Timoihy Les Adans,

residirg at 1132 Fairview Avenue,Apl. F, aowlng Green, KY,12101 and fial the statemenis b€low are employmerl al lhe Ctty and couniy oi Honrlulu Elections Divjsion in Horolulu, lhwafil

rle

coscemiog his

1 2. 34. 5.

I

was emp{oyed ai ihe City and County

oJ

Honoluu Eiectirrs Division lrom lday 2008 thrcugh September 2008,

My posidln ai lhe City ard County of Honolslu Eleciions Division was S€nior Eleclions CIed. My responsirilities D€re lo ove.see the activities of

he Absenbe aalbt Offic€.

Durinq lhe cou6e oi my emplo).rnenl, I became a$Ere that ntany r€quests wete being nade lo ths City and Cottr'ty of HonolullJ Eleclions Division, A|e Hawaji Orae of Eleclions. and the H4warl Departsnetl of Heallh trcm around lhe

country to obiain a copy ot thensenalo. Baract ObaJna's long,iont, nospital-g€neral€d bi.tit cedntcaleSenior ottice€ in rhe Ciiy and Colnty ot Honol'is Els€rions Ditjsnm

bH

rne ofl

long.ioun, hospital-generaied b'ln] cedjn€ae s&ted &r Sendor brdnch or d€parinent oi th€ ltawait gly€mdlen!

Sdna h fie

oc.casilns lhal no Hawaii 'nuhiple rbwaji Deparnner* ot Health a.d

thqe \ras no record i.hal any suct! do.rrh€nt had ever been on n!€ h lhe Haf,dii Depa.ti€nl ot HBnh or any olher

6-

Senior oifrcers in r,te Gly and Courny ol lloootulu El€diorB Oilision

turdiertd

me

m rnuhide occasions thal

Haryaii

Stale govemmenl olficials llad rnad€ inquiri€s aboul Seiator Obamal birth recods lo otrcrals at Oussns Medical Cenler and Kap'olani lvtedicat C€nler in Honolqls :nd rhat neilher hospilat had any reco.d oi Senalor Obama he!1ng
been boft &ere. eveo thouqh covemor trbe.crombi€ has as€erted and

rd.jo s Hawaji govemment otficials connnue
:1, 1961 -

lo assert Baraci< Clbama" Jr. was bom a{Gprorani iledcal Cetter on &rgKrst

7

the I came to underslard ihat lot polli€t rcasotts, vanous oflicjah 'n jncluding iherFcov€rnor Linda Ungb and radolls oftrcials ol the Hawari Depattnenl oi Heailh, govemmeni ol Haul"ii,

Dirjng he course oi my emdoynent,

includinq Dr. Chryome FuKrc, lhe dircdor of the Halaii D€p3 trn€fit ot Hoa{n, w€re maBng tepresenianons fnat

a.

olltial ir Hasaii couH nnd a longFlom bifth ceiificate tor Ssnalo. Obama fial had be6r issued by a Halllaii ho€pitat d trle tim€ o{ his binh. guring fie couEe ol my employment I k. told by senior officers ifl lhe City dd Counly ol Honolulu Eleclions
senator obarna was bom in Hawaii, even rho0gh no govenunenl Dvision to siop inquirirg abost Senalor Obamls Hauraii binh recordq evcn though it alas common l$orviedge

affong my tetlow efiploye€s $al ro Sar.aii lon$turrl hos{ttrt g€nerared bjnh conjflcaF exist€d br S€nator Obama
ln witness

shereot he has he€to set his hand and s6al.

-L$g!\+ -" +.L-,6
wit'ess
nry band and ofticial seal

a Nota.y ft.t lic ol !h€ Cou,rty and Slal€ aforsald, hereby cenify $'al personally known to m€ ro b fte atfianr in t'le for€gohg atfidavil, peBonallv app€ar€d

betore ms this day ard havinq bsen ddy s1lom deposes a.td

iiys

the facls set torth h th€ above attrdavit are

tle

and correcL

ftis

.?lg
day ot

ll4l4h

.

Zf) \2

Notary Publicb siEnalure:

W

commission €xpi.€s;

liy

19' E014

EXHIBIT 5

rmdrvii
STATI, OF FLORIDA )

)ss
COLI:\iTY OF DLn A1.l

lclicito Ps!'a arn ovcr l8 yclrs old and r*idcm of 7579 Walden Rctd- Jaclr.<onvillc. Fl- ll24a t|Jirb FL DI- 4P10S245.45-082 0. I do rIor suffgr frotrl liy Ecqtal impqirmenl and can competcntly aRcst to &c folloqirg undcr thc pcratl-v of pdrjury:
I.

L :. j

I am a profcssioaal *eb dcv.lopcr halin8 g.adu&tcd wi6 a bachclor's dcFG: in lI er l1-l Tcr:hnierl lcfitutc in lndirnapolis, N. I halc ovcr len -'-aars of cxpcrierrcc o[ e,,cb dcsign-q rfld detelqpmes( snd ha\c often uscd softl 'ar. sucb as Adobc Photoshop add Adobc lltustator. I dor nlo:rdcd from the oifici8J $litehouse \rcbsrrc. rt::jt1'hj1s!gu$-ar, .\F:11 fr. '01 l. rhe nc* t'irth cerlificrtc rr_ Barai:k ()barna Il: l:f; t S:. lvhii+ouric.&q] lJ;!c.jle,r-aul|;l9s r$-:!+\,qrtrIl!r!tr-cq4,jc-a!i. j9,U-

tilq; liJf

J.

I obs6\e.l !h3t the bir& ccnifi€rc pdf fiic cou.ld bc o1^-ncd or'.b Adobe lll'r'-tr''rt,'t ,nd lhc soft\sr. reveal.d thai lhis do,:un1cnt h&s many la)ers ofinapes o:': t. This indicalcs ftrl the dilculnmr \ris not it trre copl of fic o.iSjnal binl: ccnlficatc, bul a rccr_ntll crcrt'd doculnLrrt usrng Adobe lllufi-itclr

-i. i f'.rtlrr: ,.bsc* eC that r$is docrunctll
efrlrel

b

tir il &'Sisttats to r'rcq

dccs no! havc an cmtels4d scll norrnril,. :o ihc tdlctrticil.'- ot golcnuoanl iisued

Jr'CUmcnLs,

A1ITH

NO1.

jt\l \()
;RI-IC

) S!'1OR\ T() t<forc me al. AF:l

:t.:0ll

GooFF€Y C WllLls. J8. i.lorary PulrE. Stalr ol Fbdo

M; iorim. sx! Jrn.24,2fi4
ComFr.

ilo

0C

955m

CERTI'TTTE Of LIVI

IIITH
L'il....

dt^aft.axt o, ftr!:x

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EXHIBIT 6

AFI'IDAVIT
sI

At E oF F t.(Jl{DA

)

rs\

co{ |NTY oF DHVAL)
l. F.licilo I'ipa, anr ?ver l8 years old and rcrident of7J79 Walden Road, Jacksonville, lrl 12244 *irh FIDL 'rP 100-lr5-45.081-lr. I do n,,r suilir ftom :iry mcnlal irDpai.m.nt and I compcten(ly ltt€st to thc follorving undcr lh. penaliy oltLrJUry:

L I L a 5. 6. ?

l a'n a profissional seb developer having g.aduared with a bachcloas dcgree in lT |rom I IT TshnicBl lftstirur. in lndranapolis.lN. I have overlen years of cxpe.ience of in web designs Je!!lopm(iu and I havc o{ten uscd roriavar. such ns Adobe Pholoshop and Adobe Illustraror.
On April lJ,2010. thc whitehoce wcbsire. www.whilehouse-qo!. releas€d rhe 2009 ro.rn

and

lMo

ollncome l'a\ Rerurn ofPreidenr llarack rl. Obdna:

hnp. //wrv elwh irclrousc.gov/sit({/de fault/fi los/pre5ident{bama-20

I

O-co.np lete-Ietum pd f.

I downloa&d rhis65-page pdffil€on my computer. I obs4rved thatall information about rhe prBidcnt s and rhe fi.sr lady.' s soc'al tecuriry numbcn werc redacted. All blocks or spaces for so.ialsec liry numbcrs we.c brak. o. elir*our.'

I sLibmir Erhibir A (auached herewifi, pagc 4l pan of2oo9 fom l04o) Form 709 tJ.S Cili Tax Rebm of llres. aarack Obama. Thc sprce fo. his social security numbor is redacted or blank.
I submit top Exhib A (attach€d hercwilh, page 49 part of 2009 Form 1040) Fo.m 709 U.S. Gift T,r Retu.rloffirst Lady Michelle Ohafla The spsce for hcr social security number is r€daclcd or

Then throqgh Adobe lllusiralo. so{tware,1 opened ljxhibit A and A and found thal lhese two pdf files havc qwo lale.s .eh. norjustone laye'. whdn fie rop layer i! n med oror dragged away, th( socral securr) numbe's olborh pcrsons are revcaled

lsubmilL*hibirAl(aftache'lherewirhjFormT09U-S.CiftTaxRctumofPres.BarackObama w;th his sctial sccurity numbcr revoaled. The following informarion are reveai€d:
I

1

l. Barack Obamas .lt L l .r

SSN- 042{E-.1425

2] Michelle Obarna'$ SsN 3so-6o-2Joz

l.

An inirial MLo otr ftesideof rorm 709
rnch Jark souare wrth no!. ion on rr. Prepa(cr's SSI\ or PIN Plrtj5709?4

ll

El\

i6-t700600
-l

Phond no.

l21372.0440

70s

Un(ed Slates Gift iand Generation-Skipplng Transler) Tax ffelurn

2009
JA_:-\ir,

r:Li';ll3]S
^f sHtY,-:'rar;.

3 !.l.r ! t5r !l !.:i! rt'rr5.r =,,:---45=*i€ 5 -.a: r:L-.: i:': :

:l

l-rlf l
I

..

t
:

:, t.

.t

t.

i.+-*------:

:-:::-:ti

-= --

-Tt i;-'ffi

.._ 709

Unrted Siaies Gt{l {and ceneralion,Stjppirg Tra.sfer)

tax fiei!m

> a:: r;!r,!:e rr-,:rolt

2009
I ;3r1:::a. Bt5!.Jr:t i"nrer

-,:-i+-4;-!i*

a

;i:
: i

:.:::riii-

si;li:;a:r, _l
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:.

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'

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ro,
;

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:,'"-{ . - Fiere

*

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: ,.. ".-:.) ',.;..|._

I

::.-- itt:at

:j.;i:;:-i i;:, !ar41,. -8].P;-ar :i.

a

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nrleC Siaies Gifi iand Gere.alron-Skipprnq Transfer)

Ta: gel!rrr

> !:. ri!?:.

1+.!

!

2009
I :)rr!3r. i,r4-'r',_:.:

ini-:!!

s?-1-195

I

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!

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i,*4,rLlt, ; /r4na-

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'5

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Gaft iand ceneraijcn_sktpping Trsosrer) Tax

Retu..

>:.!,::ifi:.

,.:r*.n 1 :'t10' a \i\
rt

2A0s
t- ! :t -r-j..

t :):....::. :, ::-... .

;ilst:lt.G:ttJ, :l

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, :"- ,)62-

EXHIBIT 7

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,r'rI1:|rrrrr rl.lr.rrL p. r's,'rrirl lrr,r',,11.:, ''r
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lisrecl .'-1,"r 'r,rtl tl.'l:rr'c

rlt

r ntl|lcrirrrr
I

L,.(\l rlr. r,r\e,lrurlr ru:rI-\Liit\:\.,t(nrt,)\.fit\ IIt. tr'r1'Lrr111.'III ,l'ri 'i .rr ri.rU.ir':rtr llOh:rrrr.r t()b.rrr.rr.r,r.l i. ,''c.rluc:r "\,rt ier'l rtin::rt.l' l'cL\\].'rr) ( )hrnral : rrirne. lrirth cliie :rrd sociili \r.!rriI\ \rntl-.cr (\\\t L. ,l\.,-cll trr.lre irr|,'rrrrrrrit r tr'f \,..irl \r.ul''l\.\rrr"r't,'lr.'li,.tlrt:t,',r ri l, l
I ..Ai t )hrrrrrr s $clcr'l r\ t 5Lr\ r!r ReSisL'.rtirri r S\lt ) litlrn \ hich \\ ir5 ( )l'.rrrl.r t.:'r(l ,,rr .'\ .r r.rl1l. ,,,, tlrr rr.l' :rr ,:r' rr ...,r =q' .il(l Lrr)r(ri tlrr SS\ tlr.rrl,rrr I:r su lt..rl tlr<' r'' rrltr ,)l li(ru.c(i iir\, lirirt(lr's \t lSurtl.rt.

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Lr\in! \'irs ll:ruLlpl.rrl Ind;or nc\ cr issud(l
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Exhibit

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OFFICE OF STATE ADMIMSTRATNTE HEI\RINGS
S'I

ATE OF GEORGIA

DA\'ID FARRAR Plaintitr,
BA,RACK OBAMA,

Docket Number: OSA-H-SECSTATECE-r2r5r36-6o-MALIHI

DefeDdant.

AFFIDAVIT OF DR. RONALD J. POLLAND
I, Dr. Ronald J. Polland. PhD, being duly sworn, depose and say under

penalty of perjury:

'1.

lam a 64 year-old, natural-born citizen ofthe United States,

a

permanent resident of the State of Florida for 52 years. I am over eighteen (18) years of age and not a party to any legal action within. lf called to do so, I would competently testify under oath as follows:

2.

ln 1978,I received my PhD in lnstructional Systems from Florida State

University with a focus area in lnstructional Media. ln 1975, I graduated from Florida State University with a dual-program Masters Degree from the Department of Educational Research and Design with focus areas in Statistics and Research Methods. I have also held certifications as a School Psyc+rologist, Mental Health Counselor, and Psychometrist. For over40 years in the fulfillment of my professional career, I have served the citizens of the State of Floida, many of whom are low-income families and special-needs children. I have authored and evaluated several dozen grants that have been funded at the local, state, and national level. I have more lhan thitty (30) of years of postdoctoral

Affid.vi1ofDr. Ronald

J-

Polland

experience in statistical research, program evaluation, data mining, computerassisted instruction. and computer programming.

3.

ln fulfillment of my work responsibilities performed on a daily basis, I

have become proficient in programming and operating mainftame and oJfice

computer systems along with printers, plotters, scannerc, and other automated input and output devices. I have over twenty-five (25) years of direct work experience in the operaiion and application of mainframe and personal computers, laser and inkjet printers, plotters, and digitalimaging.

4.

I have held posilions as a Research Consultant, Program Evaluaior,

Research Manager, Statisticai Consultant, lnstructional Designer, Computer Programmer, and Web Developer,. I have lestified as a Statistical Expert in Governmental hearings over the last twenty (20) years.

5.

l.eceived professional training in Adobe products such as Photoshop,

lnDesign, and Acrobat, and mastered virtually all ofthe oflice software packages produced by Microsoft. Additionally, I have also mastered the use of many other graphics and document publishing software that were required in performance of
my work.

6-

of particular relevance is the expeience I have

in scanning complex

documents, especially surveys requiring handwriting and optical character recognltion. I estimate that, in my work lile, have scanned and analyzed over 250,000 documents.

AfidryirofDr,

Ronald J. Polland

7.

My father was a professional photographer who taught me how to use

high-end film cameras when lwas eight (8) years old. He and my mother invented the Statmaster, a revolutionary photostatic camera that I leamed to use and to demonstrate at trade shows. The slogan, "So easy, an eight-year old can use iI,'was originated at these shows. !n addition to using lllm cameras for over fifty (50)years, lhave been using digital cameras in my work requirements for

the last fifteen (15) years.

8.

Given my combined work experiences and education ln research,

multimedia photographic aris, and digital reproductions, along wiih an exceptionally keen eye for detail, as well as lhe specialized knowledge acquired from over 2,000 hours oi direct empirical analysis and reproduction of real and

fabricated Hawaiian birth certificates, I am more than capable of visually
distinguishing beh,veen the two. No person is more experienced in detecting and empirically reproducing anomalies in digital images and photographs of what are alleged to be genuine Hawaiian birth certiUcates, whether these anomalies were naturally produced or man-made, as well as deconstructing how they were created and for whal purposes.

9.

With my experience and specialization in digital and film imaging, my

findings are conclusive, as outlined in EXHIBIT "1," that the PDF image submitted to the public by its posting on the White House websile is a fabricated forgery created with the intention to defraud and disenfranchise the American People into believing that Barack Obama was a legal US citizen and a fully qualified candidate for President.

Aflidalir ofD.. Ronlld

J.

Polled

I declare under

the penalty oi periury of the laws of the United Slates' that the

foregoing is true and correct

Dale. January 19,2012

Ronald J. Polland

AffidavitolDr. Ronald

J.

Pollmd

Exhibit 9

EXHIBIT 9

Rancbo Santa ]Iargarita C-\ 92688 Tel: 19{9t 683-5J11: Far (9{9) 766-7 603 E-Ma il: dr_iaiiz@yahoo.com

LNITED STTES DiSTRICT COURT FOR THE DISTRICT OF COLUMBIA

Dr

Orl,v Taitz, Esquire, Pro Se,

Plaintif
Civil Action:

Barack Hussein Obama, Delendant

Aflidavit ofJohr N. SamPson
My name is Johtl N. Sampson. I am over 18 years of age, am of sound mind and free of any mefial disease or psychological impairment of any kind or condition
1

.

1am a crtizen of the Uoited States of America, I am 58 years old, and was bom Jacksor lleights, Queens, New York and lajsed in the State ofNew Yotk

2. 3.

in

I am th€ ChiefExecutive Officer, Owner, and Opeatot ofCSI Consultiog and lnvestigations LLC, a consultidg and prlvate investigative firm registeied ijth the Sectetary of State oiColorado as a timited iiability Company pu.suant to the iaws oft.he State ofColorado The company was formed in the Statdofcolondo on January 2' 2009 and is in good standing with the 3ecietary of State ofColorado. Colorado does not lrale any licensing requiremeds or provisions for privale iovestigators.

4. 5

I have persolal lcrowledge of all of the facrs and circumstances described herein below and trill testify in open court to all ofthe same.
On, or about, November 16, 2009, Orly Tai?- the attomey who is prosecuting the above captioned matter, requested that I access LocatePlus, a commercial database that I subscribe to'

6. On, or about. Nolember 16, 2009, pu.suant 10 the aforementioned request by Orly Taitz, I requested from LocatePlus, any and all legall_v obtarnable inlormation relatine to SSN 0.12i84425. As a result of this inquiry, I came to leam that Plaintiff Banack Hussein Obamq has used this Social Securitl number since at least Aom Jlne l, 1986 to plesent. A detailed repo.t was generated showing family relationships, past residence history, real property owred by Mr. Obama, and other detailed information to include, but not limited to, ddver's license infomahon, telephone numbers associated with Mr. Obama, and people possibly related to Mr. Obama

7.

This inforrnation was obtained pursuant to a legitimate and permissible search under the user agreement I have with LocatePlus. This reciuest was made in connectior with a pendr'ng civil action, which is one ofthe expressed permissible purposes 10 conduct such an inquiry tkough LocatePlus, as well as a possible criminal violation ofunited Slates la% and possible
fraud. As a result ofthis search and the results that we.e obtained, on or about November 17, 2009, I accessed a public access database named "SSN Validator" at http://\r,'\rlv.ssnvaijdator.cor"-/. The information this site provided me i{as that SSN 042-68-4425 was issued by the Social Security Administration based upon aa applicafion filed for a Social Secunty Number in the Stale of Comecticut betw€el the years 1976 ax.d 1977 .
I

8.

9.

0.

Based upoa ioformation and
State

drect conlection with th€
Connecticut.

beliel Plaintiff Baflack Hussein Obama has never had a of Couecticut and has never claimed residency in the State of

I am a recently retired Sgnior Deportation O{trcer ofthe United States Departrnent Homeland Security, Immigation alrd Customs Enforcemeot (DHS ICE) having retired on August 30, 2008.

11-

of

As a result ofmy formal tainirg as an immigation officer, conducted a1 the Fede.al Law Enforcement Traimng Center (FLETC), located in Brullswick, Georgia, a,r1d advanced training received at FLETC in Artesia, New Mexico and elsewh€re du.irg my 27 year career, as \aell as my professional experience spannirg 27 years offederal law enfotcemen! it is my knowl€dge ard belief that Social Security Numbers can orly be applied for iri the State in which the applicant habitually resides and has thei official residence. During the penod betrveen January 1, 1976 and December 31, 1977 iaclusive, it is my L-nowledge and beliefthat Barrack Hussein Obama habitually resided solely withitr the State ol Hawaii aod was between the ag€s of 14 and 16 during the time period stated above. During that period of time, based upon information and belief, Mr. Obama resided with his maternal grardparenls, Madel),n and Stanley Dunham ir the Stale of Hawaii.

12.

13.

N'LA, u

I

91r, requestrng that I contact hlm regarding m) account.

On or about Iebruary i, 2010, I telephoned N4r. Russo at 978-921 -212'l , extension 319 and inquired as to uh), he *rshed to discuss m] accolnt. At tiat time, Mr. Russo stated that LocatePlus had notic€d I had conducted what he called a "celebrity political figure" inquiry and wadled to knorv *ht I had done so and which permissible reason pursuant to the user agreement t was under with LocatePlus pertained to my making my inquiry.

15.

I told N{r. Russo that I lvas a private investigator in the State ofcolorado, that I had been tasked by D.. Orly Taitz. an attomey ir California who was prosecutitrg a civil suit tnvolvirg Mr Obama and that I had emails and olher documentation that I could send him ved&ing lhat fact. Mr. Russo staled that he rvor.id appreciate it if I u'ould send that idormalion to him which I did on or about Feb.uary 3. 2010. He assured me a't that time that ifl i{ere to provide this inforrnation to hm it er'ould rcsolve any "issues" LocatePlus may have regarding my inquiry inlo a "political celeb.ify".
ln the email I sent to Mr. Russo, I olTered to have Dl. Taitz send him an ernail as well confirming the fact that I had been tasked by her to conduct this inquiry pursuant to a pending civil suit in the United States Dlstnct Court for the Cerfral District ofcalifo.nia He stated that he would iike to receive such an email.
On or about February 4, 2010, Dr. Otly Taitz, at my request, sent Mr' Russo an email irdicatrng that she had requested me, in co lection with the pending civil suit in Califomia against Mr. Obama, to corduct research through the somm€rcial databases I habitualll' use as a private irvestigator, related to SSN 042-6811425.

16.

17

18.

Numerous emails have been erchanged between me atld Mi- Russo due to the fact that as ofFebruary 2, 2010, my account with LocatePlus has been frozen and I can no longer access this database despite the fact that I responded to their inquiries and have provided evidence to them indicatiog that I had followed t}le user agreement lve have entered into. I have repeatedly ask€d that my account be unlocked, unfrozen, and made avaiiable to me. Despite all ofthis, as ofMatch 8, 2010, m.v accol:nt remains frozen and I aln unable to conduct legitimate, Iegal database searches in cotn€ction with my buslness As a resuit, I am being finaloially harmed, unable to conduct legal, lar'ful, legitimale investigations pursuant to law, and unable to p.ovids to my clients, the seryices they have contracted with me to provide, tl,ereby sub.jecting me to possible civil litigatioo for failing to provide coni?cted seryices.
Based upon information and belief, misuse ofa SocEl Secunty number is a ditect violation ofTitle 42 Uaited States Code, Seclion 408(aX?XB), which is a federal lelony punishable under Title i8 United States Code by filre or imprisonment ofup to five yea.s, or

19

20.

21.

both.

z).

r nare nor

DeeD comp€osated

lor making this affida\it.

Further, Affiant sayeth not. Sigaed and execLrted ia Aurora, Colorado on this 8 day of March, 2010.

John

#-r_
N
Sampsoa

)-,

EXHIBIT 10

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Exhibit 12

AFFIDAVIT OF D{vid Yun
I. David Yun, arn over I8 ycars oJd, have persoDal knowledge
lolJorvirrg:

ofde loregoing and can and attest

1o

lhe

1.

I .i.

2.

I have over l0 years ol compuier infbmration techoology kno\\'lcdgc. I am cuFenlly a Conrpuler Information Systems analysr. I p<rfofm JulabJsc and complrter reparr sen,ices. i have a'l educaaional background in computer scicnce liom Devry University

5. 6.

I lbund multiple irrcgula.irics in the obtaired database. I lbund rnt tiple individuals. \r'ho hav€ listed rheir place ofbirrlr as US o. USA. A valid place ofbirth is required ir I4 srates as stated in PTF Appcndix C.pdf of Cali{bmia vorer regisrrarion guide. h(iptl$!vw.sos.ca.govlelect;ons/voterjrivacy_finat_repoft./pTi.'Appeodix_C.pdf

Attomey Orly Taitz. who was a candidate fbr the U.S. Senate in 2012 pritr'Iar-v., contacted mc And provided a DVD ol the CA voter registrdlions asking to analyze the dula. 8. I personally perlormed the analysis olrhe daubase provided to lne by arlornet Orly 'taitz 9 i found mulliple irrcgulariries in ftc obtaincd darabnsc, 10. I found &e lollowing resllt/ cnlric(s): A- 685739 Records w,here Place of tlirril is lisred as US or i-iSA_ I L According to CA Elecrions code 2150 every voter regisrrafioo is supposed to contain a bir$ dare of rlrc voler, as rvell as other information, such as country oforigin, first and last name, prior voter regisaation, addrrss, information disclosing whether lhe peaspective voter is a fllon or parolee, a drivers license, last four digits of the Social Security aumbcr or an ;denrifier number. 12, Based on my personal data analysis in only onc of8 parurnelers ofvcrification, birth dat€. thcre are hundreds ofthousands oi fiagrantly invalid voier regisrEtions which need to b€ removcd from the database, which is a suspicious voier registralion, which need to be verified. i a(tes! thal all of lhe information hcrein is true and correct to the besr under the p€nalty ofpeliur_v.

7.

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knowledge. I declare rbis

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Addrcss 3400 W TI IOtu\TON AVE. ANAHlitvl- CA 92804

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EXHIBIT 13

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EXHIBITl4

CERTIFICATION DECLARATION OF Christopher-Earl: Strunk in esse
TO WHOM IT MAY CONCERN:

I, Christopher-Earl: Strunk in esse, hereby declare and certif under penalty ofperjury with 28 USC 1746, that:
I

.

I am the Plai iff in the case Stunk v US DOS USDC for the Dstrict of Columbia Docket 08-cv-2234 seeking the passport r€lated records of Stanley Am Dunham (a.k.a S. Ann Dunham Obam4 a.k.a. S. Ann Durham Soetoro) (deceased); aod

2.

I am the Petitioner in the matter ofthe Freedom oflnformation Act Request for tie passport related records of Stanley Ann Dunham et al. with cas€ coDtrol number: 200807238.
On or about July 30,2010,I received a traosmittal of six individual records marked Pl through P6 showing the ftont and back ofeach for a total pages of l2 plus tie two page cover lener ofJuly 29, 2010, and
T"llot

3.

4.

on htly 29,2010 all the recods marked Pl thrcugh P6 werc de€med all those

available regarding the above referenc€d matter described in the cover letter by Jonathan M. Robin, Dir€ctor for the Office ofLegal Affairs and Law Enforcement Liaison Bureau of Consu.lar Afairs Passpott Services (see the aftacbed).

5.

Ofparticular interest is the "Amend to Include @xclude) Childreo" entry by Stanley Ann Duoham Soetoro who subscribed to on 13 August 1968 on page 2 ofthe Document mark€d Pl showtr in her own hand*riting crossed out to mean to exclude "Bardck Hussein Obama (Soebarkrh)" ftorn her passport .enewal.
The attached documents plus cover l€lter oftwo pages for a total 14 pages received ftom the U.S. Depaxtuent of State associated with my request for records of Stanley Arm Dunham etc. with case conaol number: 200807238.

6.

I do hereby declare and certiry thrt the rttNchcd records are a truo atrd rccurate copy of those rcceived by Declerrnt rtrd thrt I am .vril&ble to testify iD open court.s such.
Dated: Brooklyo New York Itecember f7 .2oll

7

593 Vandcrbilt Avetroe - 281 BrooklyD, New York 11238 Cell- 8,15-9015757 email: chris@strunkws

Attrched: Coverletter (2 pages)
Six (6) Docum€nts

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Llrriterl Statrs [)elarlmcnl o[ Statc

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In reply refer to:
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Case Control Number: 200807238

Christopher E. Strunk 593 Vandcrbilt Avenue. #28 Brookiyn, NY I1238
Dear lr,1r. Strunk:

I

The following is in response to your request to the Department of State, dated November 22, ?008, requesting the release of material under the provisions ofthe Freedom of Inlormation Act (5 U.S.C. g 552). We have compleied a search tbr recqrds responsive to your request. The search resulted in the refrieval ofsix documeDts that are responsive to your re.quest. After carehrl review ofthese documents, we have det€rmined that all six documents may be released in fiill. We did not locate a 1965 passpon applicatiou referenced in an application for amendment ofpassport that is included in the rcleascd documents. Many passport applications and other non-vital records {iom that period were destroyed during the 1980s in accordance with guidance from the Ceneral Seftices Admrnisrration. Passpofi reaords twically coBsist ofapplications lcr United States passpons and supponing evidence of United Stat€s citizenship- Passpon records do not include evidence oftrav€l such as enfance/exit stamps, visas, residencc pemrits. etc.- since this information is entered ioto the passport book after issuance,

This completcs the processing ofyour request.

Jonathan M. Rolbin, Director Office ofLegal Alfairs and Law Enforcement Liaison Bueau of Consular Affairs Passport Services

Enclosures: As stated

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EXHIBIT 15

Dr. Orly Taitz, Attomey-at-Inw (California SBN 223433) Orly Taitz Law Offices 26302l aPaz, Suite 211 Mission Viejo, Califomia 92691
Telephone: (949) 683-541 1 E-Mail: dr taitz@yaioo.com

UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTzuCT OF CALIFORMA SANTA ANA (SOUTHERN) DIVISION
Captain Pamela Barnett, et

al., Plaintiffs,

$ $

v.
Barack Hussein Obama,

s
$
$ $ $ $ $ $

$

Civil Action:
SACV09-00082-DOC (Anx)

Michelle L.R. Obama, Flillary Rodham Clinton, Secretary ol Srate. Roberi M. Gates, Secretarl of Defense. Joseph R. Biden, Vice-President and President of the Senate,

$

Defendants.

Alfidavit of Susan Daniels
My name is Susan Elizabeth Daniels. I am over l8 years old, am of sound mind and free ofany menlal disease or psychological impairment oiany kind or
condition.

l.

citizen ofthe United States ofAmerica, I am 68 years old and I was born and raised in the State ofohio.

2. 3. 4. 5.

Iant

a

private investigator; I am president of Daniels and Associates Investigations, Inc., incorporated in March 1995, license number 65199565509.

I am licensed by the State of Ohio

as a

I have penonal knowledge ofall the facts and circumstances described herein below and will testiry in open court to all ofthe same.

I located a social security number for Barack Hussein Obama and found that it was issued betwee n 1977-1979 inthe State ofConnecticut but as I investigated

firther, I found an additional eight social security numbers. One ofthe numbers had @eceased) behind it. I was able to find the name ofthe person the SSN actually belonged to and printed it fiom the Social Security Administration death index.
I researched social securify numbers for Michelle Obama. When I ran her name, two different social security numbers appeared for her, includimg one that does not belong io her but is listed for her at 1600 Pennsylvania Ave., Washington, D.C.

6.

7. 8.

The true and correct copies I personally obtained are attached.

I solemnly swear under penalty ofpe{ury that all the facts stated and circumstances described above are true and correct stalements.

9.

I have not received any compensation for making this affidavit.

Further, Affiant saith Signed and executed in October, 2009-

.a ^,/ onthisll"dlyof Ltt

Elizabeth

NOTARY'S JURAT
da> ol Susan hlizabeth Daniels appeared belore mE in person on this 42.-z- . r 7 a // Uctober, 100e. Ocrober, zUUy, ffr / /t4'.-&.! lclry L -fr.' me herdt{ver's license and < . ,4 (country) and having presented to having been swom by me duly under oath and having been admonished that she did so under penalty of perjury, she did then and there depose herselfand give the abovelisted statements in my presence in the form ofhis written affidavit.

(state), U

i"

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Specifically but without limitation, Susan Elizabeth Daniels did in my presence authenticate the documents attached here as a true and correct copy ofthe documents she obtained and described in her af'fidavit.

Business Address of Notary:

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My Seal Appears Above this line. My prinred Name i
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BARACK

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505 FARR C
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BARACK

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(773)634-4e09

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BARACK

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123 WF]iTE HOUSE

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AARACK

I4ANALAPAN FL 33462 Reported: 05/2ma - G5f2008

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HUSSEIN

Coutrty: Cook

5450 S EAST V]EW PARK 8X cHtcAGo iL 6c615 Reo6t@ : 01 lO2l2M - 01 MlzW

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BAFIACK

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BARACK

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HUSSEIN MR

5450 S EAST V|EW PARK cH!CAGO tL 60€15
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Co.rn!': Cook
365 BROAD\r'r'AY SOiTIERVILLE MA 02145 Repornsd: 0€v01/19€6 - 10rc1/r20o7 Courty: frliddlesex

197t-1979 in CT OOB: O8/O1,nS61 AEe 4a
5

OBAt'lA
BARACK HUSSEIN

197-1979 in CT
DOB: 08^X/1S61 Ase: 48
5

Landllne: (773)684,4809

oBAMA

:1'"

919f?'ii I

Bi^-

..

12' ti
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f,0$glt a#*f?J#i5i1"0"'o*'
OBAMA &qRACK
918 BAINBRIOGE ST PHILADELPHIA PA 19147 Repord: O8/2m7 - Oa/20O7 Philadelphia

1977-'t979 in cT DOB: {X/@fi961 Age: 48

Landin€:

17n)6444849

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1'3
OBAiIA
BARACK

iNALN

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Li

LANS tiG l\4:48910

F.epotl'.rj" 9712co7 - o7l2OO7
1€O N LA SALIE ST 22OON cH CAGC L 60601 2501

Zx
j\rlap

OBAMA BARACK
H

(::'j:ili

Reported: County: Ccok

!,liGi =liii) O2l2007 - 06,12007
2x

t

I+,:s197-1979 in CT l8u€d:
ss
901,09 8765

Reports OBAMA
BARACK i 236 PC BO'{ PROVO UT 6N603 Reported: 06/2007 - 0612007

/ DoB

6r! OBAMA
BARACK

'riLLOr FROSPECT HEI3NTS IL 64070,1-.13 Reporte& wl2oo1 - 0$2cn7
County: cooil
5C5 CATi-]AR i\]E

oLD

/ RD

1x iliap
Ir

S;

1x

OBAMA
BARACK

PHJLADELPH]A PA ] 9147 3O!9 Repofted: o4l2clo7 - O4,2OO7 Counly: Phlladelphia

It
3x
i,lap Landline:

N

OBAMA AARACK HUSSE$l OBAMA BARACK

545' S EAST VIEW PAR( ch cAGo lL 506:s 5916
6C7 E ADAI,IS ST

1

Repotted: 07,2006 - 07/2m6 Cotrnty: Ccck
9x
1

li

l1o#-tntn'n

DOB:08/04/1361 Age: 4e

",

(773)681 4309

N

SPRTi.tGFIELD i, 62741

s

{: -_::

Repord:
1/,lAS q

:. r ' irr

PlS

i}

331

Landline:

04/212CO5 - 05/O7/'20Oc

l21t)492.5482

Counl]: Sangarron
3!C I\TASSACHL-rSrTTS AVE
1

OSAMA

BAMCK
HUSSEIN OBAiUA

t\iGTci\i tc 200c Reforted: 020112006 - 020112006 County: Dislri.t di Co unbia

5

1x

5

i
ivlap
Li

i 19r-1979 in CT
DOB: 0e0411s61 Age: 4a 25 Esued:'1977-1979 in CT DOB: 08/04/1961 AEe: 48

Landline: 1773)684 4EC9

BAMCK
HUSSEIN

1x 227 €Tr lrrAs ll lr.lGTOi'i l:C 20002 Repo.redr 0zola2o06 - 0201,200€

S',l

Landline:
(773)684 48C9

County: Disirict

Dt

Colrribia

0BAMA

9ffi9i1,
OBAMA BARACK
H

340 ITiASSACHUSETTS tox \,vAs9 NGTON DC 2ooo1 2029 neportet' os Eaos - o2n1nocs

AVE

Llap

ll

lllt+zs in CT lasued: 1977-1979
DOg: 04/08/196t Age:
,18

Landline: '\773J6844849

iricl ai CoLu.nbra

3x 300 IVIASSACHUSETTS ti/ASHTNGiON DC 20001-26.i0 Reporled: 06./01/1986 - 920112006 County: Disaid ol Col!mbia 8x 227 ]TIASN]NGTON CC 2OOI]2 Reported: 0201/2006 - 02101/2006 County: Disirici of Columbia

AV

lvlao

li

Gfi*i"?*-,rr*n",
DO€: 0€10#1961 Ase: 48 'l9TI-1979 in C'f
DOB: 0.U08/1961 Age: ,t'8

684-4r]oe

N

OBAMA BARACK HUSSEIN
ReFor1s

6TFiS_l

Map

Landline:

li
Itaps

!,773)684-4409

sst{ , Doa

OAAMA
BARACK
H

6li.i Si foi\i iC '/VASHING
?27

L\
!t
I lgn-1979 in CT DOB: 08/0411961 Age: 48
6A4-.a€O9

OAAMA
BARACK

20002 6057 Reporterl: 06/0111986 - oz0lzoOG County: Cistricl oi Columbia

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OBAMA
BARBACK
14 W ERIE ST

OBAN'A BARACK

LL 606i0 5397 (:O-!S;EL: rirG:_ ilSii) Re9orbdi 12n120,l4 - O112ffi

cHrcAGo

l,lap

t-andllnel

It

{312)751r 170

Coorlty: Cook E-mait bobama@iawmbg com
OBAMA
BARACK

(No lP Addrees Reporbd)

Phoilei (312)751-1170
Landline: (773)884,4a09

5046 S GRE'N!^./OOD AVE

2x

cHtcAGo rL 6061s 2406 (PC:SrBLE rlc :? sli) ReporH: 07/2006 - 11/2005
Coutlty: Cook
54501 F VIE\/\/ r-ARK cHlcAco rL 60615
Gx

li

1

9Z-1979 in CT

OBAMA gARACK
HUSSEIN

Reported: 06/01/1397 - 05426/2005

li

Coung: Cook cHrcAGo
54501 SE 7435 S EUCLID AVE rL 60649

mB:

1S77-'1979 in CT

08/04r'1961 Aqe:

,18

Landline: (773)684-480S

OBAMA
BARACK HUSSEIN

2

lx
ti

Itoii*-'rr.r",
DoB: 08/0411961

Report€dr 052612005 - 05/26/2005 County: Cook

Ag€:48

b-gril"; .--(/ Irroo4 +ouv
tard$ne:
l7

OAAMA
AARACK HUSSEIN

\ /V

lx
li
19Zt-1979 in CT OOB: 08,1O{/1961 Age: 4a 425 197/-1979 in CT OOB: 08/04/1 961 Age: 4u

cNrcAGo 1L 60515 Reporbd: 05,2moo5 - 05/262005
County: Cook
5450 E VIE\IJ PARK

73)684,4849

OBAMA BARACK
HUSSEIN

1

IT

cHraA,Go rL 606]5 R€port6d: 0512612005 - 0526.2005 County: Cook
5450 S FAST VI:W PARK i ct-ilcAGc rL 60615 5916 ReporH: 05/'2005 - 05/2005

lr.dline:
(773)684-4809

tx
Ii
Landline:

OBAMA
AARACK

Courny: Cook
1013 E 53RD ST

OBAMA
BARACK

cHtuAGo

i!_

6c615,4311

RaportFdr 1212112OO4 - 01haDA06 County: cook
14 W ERIE

(r;3)363,:!s6

OBAMA
BARACK

(-:::,r

cHrcAGo

ST
L 60554 5397

lx
:r,:)
0110612005

Ragor'e& 12hnAO4 County: Cook

::,: r::- :

Lardline:
(3121751-117C

E-rnail: bobama@lawfi bg.conr

(No lP Addre6s Reporleo

Phon€: (312)751-1170

Reporc
OBAMA
BARACK

Addeaa
10131/ 53RO ST cH CAGO lL 60615

ll?B
1x
!1ap

ss}{,

x)s

FIE|E
landllne:
(773)363-1996

AR

ReporH: 072003 - 072@3
Coanrly: Cook 10131 53RD ST

li

OBAMA
EARACK

cHrcAGo 1L 606r 5 Report dl 072m3 - 072003
Courry: Cook

Landllne: (773)363-1996

OBAMA
BARACK

SEN

,, i74r E 71ST ST cHtcAGo lL 60649 Repo.bd: 02/01/2mg - 02/0112@3
Colmty: Cook

lt

Landline: (773)363-1996

E-mail: jenmasondistl 3@prodisy.nei

lP add€ss: 194100,7€.133

Repo.ted:10l(

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OBAMA
BARACK
H

5,150 S EAST VIE\

/ PARK 1 cHtcAGo lL 6c615 5916 Reported: 10/1997 - 10/2002
5450 S EASIVIEW PARK
1

Ii
1x

Ctczs in CT b6u€d: 1977-1979
OOB: 08/04/1961 Age: 48

County: ccok

OEAMA BARACK
H

aHicAGo tL 601iT5 Repotled: O7r2OO2 Coung: Cook

07l2OD2
1

lHl,oiii'-,,,","
350 60-2302

.,

OBAMA BARACK
H

5450 S EAST VIEW PARI( cH CAGO iL60615

lx
l*ued: 1s7t1976
7x
in lL

Repot€dt o7EN2 - o7l2w2
365 AROADWA\'

OBAMA BARACK
H

A 02145-2440 Repo.t€d: 06/01/1S6 - 07/17l20O1 Colniy: []iddles3x SO|,IERVILLE 7436 S EUCLID AVE c!itcAGo L 60649

i

#l'oii-,n,n,'".,4€ 08/04/1961 Age:
DOB:
i1

684<a0g

OAAMA
BARACK HUSSEIN

2

8x
1977-1979 in C"f DOB: 04/08/1961 Agp: 48

Count:

R€poned: 11/13/2000 - 11/13/2000
Cook
8X 7436 S EUCL]D ctiicA6c ii 50649 3€26 Reponed: 06,10111986 - 11lt3120o0

Landline: (773)484-4809

OBAMA
BARACK H

AV

lF,**"ir*-,rrr,"

OOB: 0a/0.t1961 AE€: 48

"t

684-.1809

5r5a !, E/, iA r.q rrc; ooots EARACK Reborted: '1O/01/t999 HUSSEIN coi;nty; c )ok

OBAMA

8x
_

10/0'1/1999
11146

!f!,?#.,.,.,"", Ase: 4a mB:
0410a/1961

bndline:
(773)644r809

ss

, ooB
6a4-480S

OBAMA

54501 SF VIEW PK

lx
10/01/1999 li
1x
tulap 10,10111399
1t

BAMCK
H

OBAMA BARACK
HUSSEIN

Repo.ted: 06/01/1s86 County: Cook 5450i Sa Vr=W PK CI]!CAGO LL 6N6i5

ailrcAGo

LL

60615

l,/lap

1Sit7-1979 in CT DOB' 08fi96'1 Age: 48

Reportedi 10101/1999 Coung: Cook
5450 S

t]fFifi-,,,","", DOB: 08104/196'l Ag€: 4a
f"^25
l*ucd: 192-1979 in CT
DOB: 0€L/04/1s61 ager 48

Landline: (773)63;1'4309

OBAMA

BAMCK
H

=AST cHtcAGo lL 60615-5916 Repo.t6d: 06/01fi986 - 10/01llg9€

\':E\^/ PA

1

5X

Map

684-4809
Landline: (773)684-4809

li

County: Cook
5450 V EW

OBAMA BARACK
HUSSEIN

cHicAGo rL60615
R€Po.ted: 1o/01/1S99 - 1On11199€ County; ccok
49798 PO CHiCAGO !L 60649

PA

1x
tulap

4425
1977-'1979 in CT

kndine:
(773)6E4 4809

t:

DOg: 0a./&/1S61 Aga 4a

OBA BARACK 'A
HUSSEIN

3OX

lx
: lgrz-197e in CT EjOB: tr8l04,/1961 AE€: 4a

Reported: 09101/1999 - 09/01/199S Cour$: cook
849798 PO

OBAMA BARACK
HUSSEIN

cHtcAGo tL 6c649
Reported: 0e/01/1999 - 0€l0ll1999 Courfy: caok zx 849798 PC
09/1S99 - 09/199O County: Cook

J]++zs ksued: 1977-1979 in CT
DOB: 08/0al1961 Ag€:

l.,andline:

,{}

i773)684 4609

OBAi4A EARACK
H

cFiicAco R€pord:

11

60649

f]4425 lsued: 192-1979
'n

CT

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OBAMA BARACK
HUSSEIN

PO tsOX 49798

CH]CAGC

1L

60G49

R6port€d: 09/1999 - 09/199€

Colnty: Coak
2152 E 71ST ST cHtcAGo lL 60649

1977-1979 in CT DOB:08/02V1961 AgEi 4a

Landline: (773)684-4809

1x

OBAMA BARACK SEN OBAMA BARACK
HUSSEIN

Reported: 05n1/1s99 - O5Ot/1999 Counry: cook 8x 1440 E 52ND SI',

L3ndline: (773)363 1996

cHlcAGo lL 60615
Courty: Cook

Reported: 01/01,r1S99 - 01/01/1999
ap8

Gii#-'rrn,"", DO8: 04/0d1961 Age: 48
sslt / DoB
It

Lardline:
(773)684-4809

OBAMA
BARACK HUSSEIN

T

440 E 52ND ST

1x

cNlcAGo lL 60615
Reponed: 01/01/1999 - 01/O1/1999 County: Cook
365 BROAD\^/AY BI SODIERV]LLE i!{A 02I43 'IX

ll++zs l6sued: 192-1979 in CT
DOB: 0a/04/1961 Ase: 4a

Landline:
(7731684 4e09

OBAi'A
BARACK HUSSEIN

t,,1ap

Regoftedi 1111z1997 - 1111?J'tW7
54501 E VjEW

li
l/lap

tlqazs

lssued: 192-1979 in CT

OEAMA
BARACK H

cHicAGc

li

FARK

,ix
It 16x lssued: 1977- t979 in CT

605'15

Reportod: 06./1397 - 06,/1997 coui/ty: cook
54501 VIEW PA a -fcAGo tL 60s15

--4425

OBAMA BARACK
HUSSEIN

OBAMA BARACK
H

Reporred: 10n1/1994 - 10/01/19S4 Co{rr*y: cook 5x 5450r SE VlE4/ PA cHicAGo !L 60615'594: R€porbd: 06/01/1946 - 10/01/1s9t

I

tio#*-',,""",

DOB; O4/O8/19€1 Ager 4a

Landline: {773)684-4809

llap
1i

OBAMA
BARACK
H

Co{nty: Cook 5450 S ;AST Vl:lll PK
CH]CAGO
LL

tsuiil: 1977 1979 in CT DOB' 08r'0d196'l Aqs 4€ -"a25

68-1-480S

N

1

lx

60O] 5

t

Reported; 06/0'U1986 - 1O/Ol/19S4 County: Cook

bsued: 19i1-1S79 in CT
UOB: 08/1961 Age: 4a

-4425

5450]SEV]EWPA
BARACK

L<

citaAGo Couly:

HUS9EIN

60615 Reported: 10/01/1994 - 10/01/1991
1L

Ccok 4X )

#iifl-,rr",n"' 08/04/1s1
DOB:

Age: 4a

(773)684 48C9

OBAiUA EARACK

365 SROADIVAY ST aosroN [,1A 02111

(:-r-:-L;-

I

Repo.ted: 08/01/1SS4 - 08/01/199'4

':

Landline: {517)623-1266

Counq: Suiiolk
OBAMA
BARACK HUSSEIN 365 BROADTA/AI BOSTON KIA 02111

ST

'I]x

(rc;SiiL-

H'Cll F:i5iJ

R€ported: 08/01/1934 - 08/81/1994

It

tofiir',n ",,"'
llq+zs
sslt t Do8

DOB: 08/0{/1961 AgB: 48

(773)684 480S

County: Sufio k
OBAMA
BARACK HUSSEIN 5324 S KIMBARK

AVE

Ax
ivlap

cHrcAGo

rL 60615
12./O1/1SS-3

R€porH:

- 12101/1993

ti
llape

lssu€d: 192-1979 in cT
DOB: O4/0&1961 Age: 4a

Landline: (773)6e4-4809

Reports
OBAMA EARACK
HUSSEIN

Phere

5324SKITIBARKAVE cHtcAGo iL60e1s
12101119sB

1x

l,4ap

- 12n1j1 3

ii

ris'red: 1977-1979 in CT
DoB: 08/04/1961

bndline:
(773)684-4809

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OBAMA
BARACK

5450 EASryIEVr' PK cHtcAGo tL 60i15

1

lx
192-1979 in CT

Reported: 08/01/1993- 09/01/199i] Cormty: Cook
7436 S EUCLlD AVE cHrcAGo rL 60149 3626

2\

OBAMA
AARACK

Cormt; Cook

Report d: m/199:] - O8/19e3

In4425 bsred: 192-1S7S 1t)4425
bdred: 197-1979

ln CT

N

365WBROAD\AAY
OBAN4A

1T

BARACK HUSSEIN

{:f:3i?L= iiG rits:i)
Count: Suffolk

BOSTON irtA 02127

in CT

tandline:
(773)634-480S

Reporl€d: o7A1/1s91 - 0Z!l/1s91
5324 S K:MBARK cHtcAGC lL 60615-5287

OOB: 0ar'04fi961 Ag€: 48

OBAI'A
AAFACK
H

AVE

3X

ivlap

llqqzs
ksrd:
1977-1979 in CT DOS: 08[4/1961 Age: 48 1977-1979 in

Reporled: o6n1,n$6 - 121990

ti

N

Coung: Cook
1x 365 BROAD"ryA)'B1 souERV!t LE tltA 02145 R€Porbd: oarcifigaa - 0s/01/19€8 County: Uiddlesex rN 1x

OBAMA
AARACK HUSSEIN

Cf

LaMtne:
1617)623-1235

DOB:1990
5
la

OsAlilA
BARACK HUSSEIN

crilcAGo

fl

rL

6c6i5

Repotled: 01D1/19a8 - 01n1,fl988
Cosnty: Cook

: 192-1979 in CT
DOE!: 0€/tX/1S61 Aoe: 4a

Lendline:

FnJA84-4eC9

OBAi'A
BARACK
H

]\ i\l ci{cAcc

rL 6c6 r5

u
1x

R€portad: 01/1984 - fi/1984
5429 S HARPEF AVE 1N alicAGo iL 6c615

J)4425 k€l,€d: l9zl-1979 in cT
DOB: O8,(X/1961 Age: 4a
5

OBAMA
BARACK HUSSEIN

R€pord:

1001,/'1986 Coung: Cook

1oDlfiSo

192l-1979 in CT
DOB: 08/0.1,nS61 Ag€: 4A

LrfldlLiie: t773)664-4€09

OEAMA
SARACK H

5429 S HARPER AVa 3x cHrcAGo iL 60615 5548 R€potted: 06/01/1986 - 1CY1986 County: Ccok

IN

t)4425 bs.ted: 192-1979 r@

in CT DOB: 08/O4/1s61 Ag€: ,18

Repo.ts
OBAMA
BARACK H

ssll t DoB
frOB: 08/1S61 Age: ,{8

OBAMA
BARACK H
OBANdA

52ND ST cFlrCAGO lL 606'i5-4137 ReporGd; 04/1986 - (X/19€6 County: Ccok 5I5O EAST\,/IET]\' PARK 1 cHtcaco ]l 60ri15 : Cook 365 BROADIVAY 41
SOfuIERVILLE fulA 02145-2440

1 .140 E

lllap It

102/-1979 ln CT

D@:08/1961 Aq€: 68
1977-1979 in CT

BARACK HUSSEIN

DOB:1880

OBAMA BAFACK
H OBAII,IA SARACK H

cHlcaGo

5450 E VIE\^/ PARK'1
rL 606r5

Map

: Cook 54501 SE \'VV cHtcAGo tL 60615 : Cook

It
tulap

kslled:

1977-1979 in CT

li

lS77-1979 in CT DOB: G/0,Y1S61 Aqe:.$

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Social Security Death Index Search Results
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EXHIBIT 16

Case: 10-55C8,1

0811

1i201C Pacte:

1of69 lD 743F,277

D{iEntry: 16-3

NATIONAL ASSEMBLY
OFFICIAL REPORT
Thursday, 25rh March, 2010
The House met at 2.30 p.m.

[Mr. Speaker in the Chair]
PRAYERS

PETITION

Dr. Khalwale: Mr. Speaker, Sir, I stand here to make a petition on behalf of Kiborowa squatten who are a group of squatters from Trans Nzoia District under an organizalion called Kiborowa Squatters Alliance- The squatters reside in the rural and peri-urban slums within Trans Nzoia and like our forefathers, remain landless and living under deplorable conditions. Some of those squaners €lre temporary labouers on the
former colonial settler farms now popularly called Agricultural Development Corporation (ADC) farrns. Our girls and women are raped and forced into prostitution and early rnarriages, occasioning high instances of HIVIAIDS and gender biased violence. There are high poverty levels leading to early school dropouts and childhood labour. Despite thos€ squafters making several presentations to the Govemnent with assuances from district commissionerst permanent secretaries and Ministers for Land and Settlement since Independence, our people have yet to see any positive action. We are, therefore, praying through this petitior for your humble intervention as a House, so that the Govemnent of the Republic of Kenya may immediately s€ttle all the squatters on the following ADC farrns: Sabwani, Sekhendu and Olingatongo ADC farms. We are also praying that the Government rcstrains those Members of Parliament who are inciting members fiom non-squatter comnunities to invade those farms. Mr. Speaker: Order, Dr. Khalwale! You caught my eye to present a petition, but I am in doubt as to whether or not you have, in fact, conplied with Standing Order No.204. At least,I have ro indication liom the Clerk ofthe National Assembly, which I normally have as a matte! of practice, that you have complied with Standing Order No.204. Can yos satisry me that you bave done so? Dr. Khalwale: Mr. Speaker, Sir, this petition was presented to the Offioe of the Clerk. He went th(ough it and marked it to the Sp€aker of the National Assembly. The Office ofthe Speake. ofthe National Assembly marked it to Mr. Ndoobi wh6 is in the legal arm of Parliament. Mr. Ndombi invited me to his office. We \ /ent through this petition and I am glad to confirm that we have complied to the letter, to the requirements ofthat Staoding Order. Mr. Speaker: Can you, please, let me have a look at the petition to b€ satisfied that those steps have been taken? Dr. Khalwale: Mr. Speaker, Sir. after I conclude or before?

Thursday, 25!h March, 2010(P)

C;rse 1055084 jBt14,i2o1A Page; 31

of69

la.7436277 DKtEntfy:

15-3

the way to look at devolution is about governance, lf at all we take this Con$itution without lookilg at the elements ofdevolution properly, then I am afraid we have missed the boa1, We should be very courageous and brave because in 1963, resources were going to the regions. It was not by changing the Constitution that the regions went but by starving the regions of funds and even the power to t.Lx the regions. That is how the regions were kilLed. But uhen the regiors were working, even hon. Ngala was feeling better and safer as the president of the Coast region rather than being a Member of
Parliament here. The other thing that we are addressing through devolution is exclusion. What has made us sufer as a lation is exclusioq. Once people feel excluded, even when you want to employ a policeman or constable or you want to build a dispensary, it must come ftom the centre. In the colonial days, these things were being done on the gound atrd they could give bursaries and build roads- I corrunend devolution. Those who fear devolution are living in the past. l hey arqleing guided by their etbnic consideration and objectives. They are living in the past.llf America was living in a siluation where they feared ethdcity and did not see itself as a multiparty state or nation how could a young man bom here in Keny4 who is not even a native Americar! become the President of America? It is because they did away witb exclusiorl Wbat has killed us here is exclusion; that once Mr. Orengo b President, I know ofno other place than Ugenya. That is why we were fighting against these many Presidencies in the past. I hope that Kenya will come ofage. This countty must come ofage. People want Aeedom and nations want liberatior\ but countries want independence. I beg to suppofi. Prof. Kam.r: Thank you, Mr- Deputy Speaker, Sir, for giving me the opporturtty to cortribute to this historic Motion- I would like to support it with amendments and I will be mentioning w'hich ones. Mr. Depuy Speaker, Sir, allow me, first, to congratulate those who have participated in the procass of Constitulion-naking in this country. I want to recognize the vetemns - the Orengos and lmanyaras - past and present. I also }lant to remember 1o rccognize the Bomas goup ofdelegates that gave us the lirst Draft (2004). I also want to remember the Comrittee of Experts (CoE) and our own Parliamentary Select Cofunittee. These people have done a cornmendable job. The Constitution making prccess has been very long and tedious. Sometimes it has been acrimonious and tempers have gone up and down. But all in all, the process has brought us this far and we must thank God fo! that.

Mr. Deputy Speaker, Sir, it is instruciive to note that while it has taken a very long time, there axe some zre.is that have consistently rernained in all the &afts that we have today. As we consider that, we are reminded of why Kenyans \r'anted to have a Constitution, to begin witlr- In the preamble, there is a statement that says: "We, the people of Kenya adopt, enact and give to ourselves and our future generation this ConstitutiorL" 1\4r. D€puty Speaker, Sir, we must enstrle that Kenyans get a new Coostitution that will serve them and the futule generalions- How do we ensule this? We must ensule this by ensuring that the Proposed Constitution is good for all, fair to all and serves all. This may require the spi.il of give and take, but it must all be inclusive and non exclusive. The eyes ofthe nation are focused on this House. We must ris€ to the occasion 3t
Thursday, 25'h March, 2010(P)

EXHIBIT 17

The Vetting - Exclusive - Obama s Literary Agent in

l99l

Booklet: 'Bom in Kenya and Ia... Page I

of2l

THE UETTING - EXCLUSIUE

- OBAMA'S

IITERABY AGENT

11{

1991 B00K[ET: 'B0Rl{

lil

KEI{YA AI{D RAISED IN II{D{IIIESIA AIII! HAWAII'

Ia
w1l''Jl,@lorge9honKeM'fu b.slMfuyfuhaje@fufunglhe@ ,)@,w,alre69acneGciA,@e
MOST P(}PUIAB

Barack
Obama
BaEok Qlir,l}ra, u@

lt9,
.
1lerJlrr

AJria:] A:ner-x prcsid€DL of tre tla.a&tl: i,ri Reoew waq
bom u! Keilva a,rd rered in
lndcnes,a

q!{!r4-1r!!.&4-U!ls!: lir

drl Harvair

'I-h-"

i5r
REIATEII ]IEWS

Birtberlnal,'er rhltd: / s\1! hrehbr.tumrBrs-

cr^.mmcnr'!on/o8,h4lTcdD:
Ohama Birther-ln-Chi.o

Note ham Senbt

Manogetudt: a

A^&eu Brettbad w6
fact, A"drew beLtlee4

'te

neuer a "Bi.7het,' dftd Bt itbarr Neas is thot h@ n@er aduocute.l the natotiDe oJ "Bittherism." In

uw

.lo, thdt

luos born in Honolulu. HauaiL

I't6idqt Batuck Otuna ona sust4,1961-

&
l;;tr;iE:]*

. BrandoaDarb!!rjd!!Ichr!!!la!!&!
t}c lL\C: r3iie Dl^{n thr EtiS SFtcnl
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.

Gnemneni/2o12/o8/:r/B.!ndon Drrln oN.\.d(hist Plans'tu.rhe
BNCJDLI!ding-'fqknrs'Dor$-lh.-Cins'Eus's\ srep)

@mpliot noinsieatu media hdd rcJted to exanine Praident Obdnb's ,leologicaL pdst, ot the caetu s.ruJtqtpe@no he ond his aAvi9m had s'^sn aedfor
vet AtuIrcLo also believed that the

ffi4""*it*
,-.1@4. E

"H{fr.* ,t**#

. !bn4da!d!tt Hr!.als!t'!!-sl!!\
Rome\
Bcins

u EJor that @'on thot w lonthed Ihe vpttins,- oq onsohg R&tr in uhiJh ue aplorc the ,Jeolosical backgtdn l oJ

!nder Soc.et Churclr

cllljel
A$!.1-lr4${.b4i$!I!!ElErcitb4e 1-l'l:a!rra8/?iMrl. r!:E4 i
Llunrsnrrn-Slnhs-Ron!w-Bcnrq% 20Under-secrel-\lornon ahurrh-

P6i.lent obono (and oth6 prcidential @tulanvs\-rct to e Utigdte 2oo8, but beeue i.lss dnl actioLs huue co%eqrencs.
It
in that spiit thot ue diso@e.l, dd n@ prent, th. booklet daecribe<l belou-ote L\at inalud6 a turketing pitchfot a
is also book

forth@mins

b!

o then

lresrzal o/rhe Handd ta{ R*i..w. II isdiden@ flot ol the P6ident st'Nisn onsin,

louns, otheruie u\k'turJoflne.
but

c!!!!D
G]:rlEEgr4salqsr:re&Rfi

det

;;ifiit#,-R;

'

Ur Alt.rrb j-L-D!! jarr
lhr,

+

Batuck obamd s ptbli. pqsona has pqhaps been prcsqled

o",l

dife@tu

at difretuat

nn6.

ll' in://, \\ l,r!ith.r1.L,rm Bi!-

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httpr/wwwbreitbart,corn/Big-Govelnmenl/2012/O5llllThe-Yetting-Barack-Obarna-Litel3'...8126/2012

The Vetting - Exclusive - Obama's Literary Agent in

l99l Booklet: 'Born in Kenya

and ra... Page 2

ol21

Breitbrn

N.

s has

obtaincd

a

!rcnoftnal

booldet rrcduc€d

in

Ol)ma r thenliterir_a agenc!,^cton & Dystcl, whjch touts ob.ma as bom in (ent? and raised io indonesia .nd
1991b,y 8a.ack

_$

Zq!'
rhc

Bouf

(

c?!P!l:iEi{Bf!e]]!:1l]:ti
lrlbl]r1.qrlrr E]c.

Mc

O!b-!i!$
&Lc-)

Iiahzii.'
to trusiness coU.aSues' in th€ publishing industrr', includG a briel bio8raphl' oi Obama among thc bioglphies of ei8hty-nine other authoN reptusented br -{cbn
The booldet. \vhich was distribulcd

G!$:rj4!V?!r:ia8]:!lZq!!, !qq!!!:!:P!$!!r!gi!:!-

c@,!nrnt2o':/.1/'r!!
h also p.ohotes
ond tfl rf e-which Obrnrr ab4rrlg!re4.1:lrt!t!l\tr,-C!l!r!rl4!!t!. nui ri.s olliiils, r.roqrr :ir:&.[{rbrnrr]r.itipe-booiisrrriio!r])!4.d!,r!!4!n4$l! :!!.rel, htcr publishjqs D.@D$lrcm M!/

obda s dticipatcd fiBt bo.k, "Io!nc?s

tn

Alacl

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,_^.* @

BREIEABTVIOEOPICKS

obatu

s

biosraphy in th. b$klct is as

fouoss (inuse and rext

Barack
Obama

*xff*#i..**cwUPFORouRffi
,,'.],.*..

F

brm n Ker\% lod Rirnj rr

Li.irr:d f'r t..rajj

t'h. r,:l c( :t. rrr!4.,6 . d,or .!f,iJF:sr orC r R.r+dr JiJBio: nunsr'rl

@

rJlr,rr:rJ U(i

:f,rP;*r

4

a

i;]..!'.'li..IJl'9]vals

.,,"'"_'

E

ma, the li6t Atiics-Amdi@ proidcnr of the ard br R.\jerr, s as bom in Kcnr! and !!i{d in lndonesia and Hawaii. rhc son of an Ameri@ anthftpologist and a Le.ru fin ce Einist€., he .ttended colebia Unn€rsily and wo.kd as a lnancial jou.nalist d.d editor for Bu.ind InterMtion.l copomrion. nc sen€d as prejcct .oordimtor in Harlem lor the Neh Yo.k Ptrblic Intcrest R6cNh Croup, and was Exemii\e DiJecto. of the DeleloPi!8 con muitics Prcject in chicaso s South Side. His commitnent io social and racili isstrG sill be qideDt in his

Bradi ob.

!l

F,*tbtbl.Jottuus

in

Rl\ckand uthit

.

http://&'\,w.breitbart.com,Big-Govemmentl20l2/05/17lThe-Yetting-Barack-Obama-Liter!'...8/26/2012

The V€tting - Exclusive - Obama-s Literary Agent

in

1991 Booklet: 'Bom in Kenya and m... Page 3

of21

The

b@!let, which is thinv-sd pass long. is pdnted in blue inL {dit, on the cover, silvey'srev inli), 6ins otrset iithogalhv It pulpo.ts to @lebute the fiIteenth milesaiv of Acton & Dystel. which {s lounded in 1s76-

rfont@ter(ottside)

aate Baflck obdma llstedin alphabeti$l

order

F}ont @vet (insid.)
Jay Acton no longe.

lists

fttt':

r€Prsmts Obatu. Ho{ever, Ja@ Drstel still a client oo / /$av-d\srel.com/dient_lisv+ol ob@a as

Accorihng ro ihe bookl€t

te{t &rs edited bv Mi'im Dvsiel s partnd at D\stel & Goderich, who hu since beom€ an asencv foftded in Codench {hlrp: / ^14ft-&stei..om/about/l Ne6 ari€mpted to each codench bv telelhone 1994. Breiibad

it*4

the

http:/A^,r v.breitbart.com,Big-Governmenv2

0l2l05l17lTirre-.letl;ng-Barack-Obama-Litera

812612012

The Vetting - Exclusive - Obama's Literary Agent in I 99

I Booklet: 'Bom in Ketrya and ra--. Page 4 of 2 1

serem1 times oer soeral days. He. cals aie *reened by d auloroted s6ice tbat reqtris @lleN to state thet nam€ dd

conpdy, which
The not

we did. she

nfler

dreNd.

d6ign of the h@tl€t $E uddtaten by Richard Eelse', who

has since closed his

bulnss.

Bellsey, reached by telelhore, could

rec.ll the eBt details ofthc booklet. but told Breitbart Nehs rhat it "sounds likc one of oujobs, Iike I did for [A.to! & D]stell
tw€nt!

lrtrs

a8o

o. morc.r'

E trrard

t.

Dyat

ata!a

l

The parade ofauthoF alongside obam in the booklet includcs politicutrs, sub as form€i speaker of the Houle Tip ONeill; sporis l%ends, ssh as J@ MontaD and KarEeh AbdulJabbar;

dd

numercLrs Holbryood celeb.ities.
'l he

Brrse side ofth. pa$ that f@tuB BaEck Obama includes lomer CMn Party pqidentul andidate Rrlph Nader dd elrb r99G "bo!

bald

DoD

*Ntion N6

Kiils On lhe Bloclc

Barack
Oballna

E! Itt.rk

H
O'Ig6lll

P.

hnp://www.breitbart.com/Big-Govemmentl20l2/05/17/The-vetting-Bamck-Obama-Litera... 8/26/2012

The Vetting - Exclusive - Obama's Literary Agent

h l99l

Booklet: 'Bom m Kenya and ra... Page 5 of21

atoh!

E

uqrlly

BdDrt

lirdd

ttr. Bloot

tg.r fftl|

On

I

,i
Acto4 sto spoke to BEitbort

|tI.6

by t€l€phonc,

confrmed

ofdE boo[et anil said tbat it tlrcusand! of dol€$ to Drcd!.€.
details He indi@ted that

pEile

cost thc asency

teB of

wlil€ 'alhost

nobody"

emte his or h€r o$r

biognphy,

t!. noMrfttc6
a

ttl *lth

on

in the booklet, wboa'the a8€dts dsl datly brsis,'rerE 'prcbabb/ appoach€d to app.orr

Drstel did not rerpohd to

enail.nd t€lephorF- rcrrsisteittoH BEithart Nes tbrt DyEt l "do€s not aiawe. qugtlons about obam."
The €nant Ob€ma bi('glrphy in the Acton & Dlslcl boold,et mt corhsdict the suth€rticity of Oboma's birth c€rtificate.

nlreroE Equett!

for

colDmt vir

des

MorcorE, scE rl contemtutueoa aeounlr

ahttp://ircni6uneltism.@m/2o12lor/u/obea-looo-intef,.iew

w@-Eoirt+cMbaw-bennirit€d-meri@n
bakgrcund dsclibe obo@
rbttP:
eE

of Obernat

rlas.ii //m-.NtiF6.@p/106/o2lo6lus/f rst,bl!ct+1..t€d-tc
b,viry
beeD ho, n in

The biogEphy doe8, bos€ver, fit a pattem in which Obama{! the p€ople repr..s*ing ,nd supportiDg hin-E nipulate hn! Fblic Dsvid Mrl3nb6:s ftrticolnilg bialapby of Obana repodedv lqlosed

hg
Firfriend

rhftp:

//m.r2nitdair.bm/9oliti6/to12lo6lwmq beacka

obamu-in-lde david-maeisl. ntr exampl€, tlat

ob6@.1€s!'bed

iD

mahu
his

D&mton !r! adE

{!s,

in

faat,.r

of €wersl sepdate indiaiduels.

In addition, Obai!.l a.d bls

i&ntity

when

h{ileB haE a hi*ory of r€definitrt €{Fnient. Ir [aa{h 2oo8, for €r.rmpl€, he

fdou$y dlllalEl
ahttp://1.|w.hufdnetonp6t.6o/2ooa/oilr8/obaM-rrcen azott htnD: "I c.n @ E or€ dtuo,.?E FeNdiah Wlidtl thrn r cln disord th€ black cffmunity. I can no hor€
sPeech-read-th dbown hiE thad r ca.!

ry

white glandsodler.'

http:/ Mww.breitbad.com,/Big-Govemment40

I

2/05/1

7fh+Vetting-Barack-Obama-Litera

-.-

8126nO12

EXHIBIT 18

State

ofArizona

)

)
County of Maricopa
)

ss.

AFFIDA\-IT

{, the undersigned. being first duly perraltr of per.1ur1 lhat lhe lact' are lrue:

s\om. do hereby'stale Lrnder oath and

under

i.

I am o\-er the age of iE and am a resident ofArizona. The information contained in this alfidavit is based upon ny orvn personal kno*ledge and, if called as a witness. could testily conpeteutly tlrereto. I am the duly elected Sheriff of Maicopa Count). Arizona. and I hal e been a ia$ en lorcement officer and olficial, in bofi state and f'ederal sovemrrrent- lor 51 vears.

2

In August of iasr year. a group of citizens lrorl the Surprise Arizona Tea Pary" organization met \\ith me in my office and presented a petltion signed by approxinaiely 250 residents of \Iaricopa County. asking if I lvould investigate the controversy sirrrounding President Barrack Obama's birth certiflcate authentjcity and his eligibility to sene as the Prcsid€rt ofthe United States. This group expressed its concen that. up until tllat point, no law enforcemenl agency in the country had cver gone on record indicating that they i'lad either looked into this or that they *ere lvilling to do so. citing lack of resources and
sdicrional challenges.

3.

ju

4. The Maricopa County

Sherilfs Olfice is in a rather unique position. Under the Arizona Constitution and Arizona Reviied Statutes. as the elected Sheriff of Nlaricopa County. I have the autilo.ity to request the aid of the volunteer posse, located in the colLntt, to assist me in the execution of my drLties. Har'ing organized a !olunteer posse ofapproxinately 1,000 members, I. as the Sherilfof the Maricopa County Sherifls Office. can auihorize an investigation go fonvard to answer these questions at virtuail! no eripense to the ta\ payer.

).

The Cold Case posse agreed to underlake the inrestigation requested by the 250 cilizens of N{aricopa Count),. This posse consists of lonner police officers and attomeys who have rvorked invcstigating the controvers)/ sudounding Barack -fhe investigation mainly locused on the electronic documenl thar was Obama-

I

presented as President Obanta s long tornt binh certificate to the American people and to citizens of \{alicopa Corurl b\ the \\'hite Holrsc on April 27. 20 i i.
6. Tl

c\rrrt IJltJI of the procedLrres regarding the registration ofbinhs ar rhe Hr\aii Departnent of Health and various sntements made b1 11a*'aii go\emn'tenr ot'llcials regardin.s the Obama birth controversv over the las( fi\e vears.
i
r

.

r

r

e

i

r

r

:- . ' r r '

' IcJ

rn

,1 q19.g,

7.

Lpon close exanrinrtion ofthe e\idence. it is nr) beliefthat folger)- and lrard was likell' comrritted in ker idenrirr docLLIrlents inclLrding President Obanra s longlornr birth ce11ificatc. his Selecrirc Ser|ice Registration card. and his Socill Securit\, nunlhcr.
investiuators and I belrerc tha! Presidenl Obanra-s long-lorm bifih ceniticale is a co|nputer-generated docltnlent. \ai ntanLtl'actllred electroniaallj,. and diat it did not originate in a paper tblnrat. ai clained b)- the \Vlrile House. Most inrl)onantl\'. the regijtr-ar's stanlp in lhe coutpufer generated docLrment released br" the \\'hire House and pojt.d on rhe \\'hile Houle \\ebsite. mav ha\e been inlp()ned floln another unkno\n source docuntent. The eilect of the stamp not being placcd on the docunteu! plrrsuanr lo sttte and tederal lans nreans that there is probahle cause that tlte documeni is a tbrger)-. and tltereibre. ir cannot be used as a r erification. legal or olhetl\ iie- of the date. place or circuntstances of Barack Obanra s birth.

li.

\lr

9. Tire

Cold Case Posse lau enforcement iu!esrigation iuto Berack Obana's bifih cenit-icate and his eliribilitl ro be plcsident rs on,going. The on-going narure of rhe inrcstigaLion is duc lo additioltal inlbmtrtiolt that Ltas conra to light since lve lreld the press conlirerce in \larch. l0ll. -\s socrn as that inlbmlation has been ploperly rcrified br. the Cold Caie Poss.. I rill release thar inlonration to the

publrcE\ecLrted this

!laricopa Counr). Arizona-

iL

da)'olJLrne.

Joseph \1. Arpaio. \laricopa County Sheriff

\r

\[l

'trq,.iu\,-\'rrL $',.\!Lt ,)
'j

orr r, ..d ..rb..r.b,d b<tur( r.r. ir .r n or ]',.1 '

-.-JU4S_

rbin'

ri^flco$

turac

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66 .aatsr..
cot wtY

L

2l

EXHIBIT 19

-

----F.om Public Records < oare Thu. Aug 30.2012 ar 4 50 PM
Subjecti FW: Request Voter Regrstralion Number

-----

Forwarded message

To:!F4Er{*

G::.i a1.'"i,!i1 :t.irenrs iial l n's :,i.i.: l,.t i'jit.' , : :.;; ::i it,i' 1:rsi.;

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r a'l ,i 'ir tlana-.-'r

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Frcm: Cot1d,

s€nt. ThuEd.y, ArSusr 09, 2012 9:11

(!y [Mdt

:
pr'1

9rbiect

RE: Direct

nye6 corrd intonnat'o.

EXHIBIT2O

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irlL.,.

9t at&trt or lrlt!lx

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t;;!T.?

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i,ii( Irijiil. :l-lt ia ria ,trl l: 1it: r a\ir {t**rl:_ i t,.* rit r.r tr\ t!t] !1 i.. l"-!,(ft ^irr i: {\\15r. a\:, {;ttl:ll{.;: 'li.l\rl ,,,,.41i ::ia: * i j!,{hf\i. \t !-t 1!Al_;11
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EXHIBIT2l

CERTIFICATE OF LIVE BIRTH

DlPlttA{iNT

t!'"...I51
BA:NC{ IIJSSEII{

61
1

OF

HIAIIX

10641

oB!!tA,

li
,}

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2011

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